1.1
The
existing
former Cheoy
Lee Shipyard at Penny’s Bay will be decommissioned to make room for the
construction of infrastructures associated with Hong Kong Disneyland Phase 1, including the Penny’s
Bay Section of the Chok Ko Wan Link Road (CKWLR), Road P2 and the water
recreation centre, etc. The decommissioning of Cheoy Lee Shipyard (the Project)
shall
will be
on the critical path for
the construction of overall timetable of the Master Project Agreement
that early completion of the Project is therefore essential to assure the
timely opening of the Hong Kong Disneyland Theme Park.
1.1
1.1
1.2
Main
activities associated with the Project are demolition of buildings in Cheoy Lee
Shipyard (CLS), excavation of contaminated soil from CLS, off-site soil
treatment at a reclaimed land of To Kau Wan (TKW), slope improvement work
behind CLS and filling of CLS site after decommissioning. As identified in the
Environmental Impact Assessment Report for the Decommissioning of Cheoy Lee
Shipyard (hereafter referred to as the EIA), key environmental impacts arising
from the Project include air quality impact at the sensitive receiver adjacent
to the CLS and TKW sites, local contamination impact at the groundwater
recharge point during dewatering, loss of habitats of the restrictedrare/
protected plant species behind CLS and impact to Mong Tung Hang & the potential inhabited rice
fish population.
1.3
In
relation to the anticipated environmental impacts of the Project, respective
mitigation measures and brief environmental monitoring and
audit requirements have been recommended in the EIA report. This Environmental
Monitoring and Audit (EM&A) Manual has been prepared in supplement of the
EIA report to provide details of the EM&A requirements and the
environmental management system activities during the Project.
1.4
The
purpose of this Manual is to guide the set up of an EM&A programme to
ensure compliance with the EIA study recommendations, to assess the effectiveness
of the recommended mitigation measures and to identify any further need for
additional mitigation measures or remedial action. This Manual outlines the monitoring and audit programme for the
construction/ demolition and remediation phases of the proposed project. It aims atto providinge
systematic procedures for monitoring, auditing and minimising environmental
impacts associated with decommissioning works and activities.
1.5
Hong
Kong environmental regulations and the Hong Kong Planning Standards and
Guidelines have served as environmental standards and guidelines in the
preparation of this Manual. In
addition, the EM&A Manual has been prepared in accordance with the
requirements stipulated in Annex 21 of the Technical Memorandum on the EIA
Process (EIAO-TM).
1.6
This
Manual contains the following information:
· responsibilities of the Contractor, the Engineer or
Engineer’s Representative (ER), Environmental Team (ET), and the Independent
Environmental Checker (IEC) with respect to the environmental monitoring and
audit requirements during the course of the project;
· responsibilities of the
Contractor, the Engineer or Engineer’s Representative (ER), and Environmental
Project Office
Team (ENPOET) , and the
Independent Environmental Environment Checker (IECIEC) with
respect to the environmental monitoring and audit requirements during the
course of the project;
·
project
organisation and programming of construction activities for
the project;
· the hypotheses of potential
impacts, the basis for, and description of the broad approach
underlying the EM&A programme;
· requirements with respect to the
construction schedule programme schedule and the necessary
environmental monitoring and audit programme to track the varying environmental
impact;
· full details
of the methodologies to be adopted, including all field laboratories and
analytical procedures, and details on quality assurance and quality control
programme;
· the rationale on which the
environmental monitoring data will be evaluated and interpreted and the
details of the statistical procedures that will be used to interpret the data;
· definition of Action and Limit
levels;
· establishment of Event and Action
plans;
· requirements for reviewing
pollution sources and working procedures required in the event of
non-compliance with the environmental criteria and complaints;
· requirements for presentation of
environmental monitoring and audit data and appropriate reporting procedures;
and
· requirements for review of EIA
predictions and the effectiveness of the mitigation measures / environmental
management systems and the EM&A programme.
1.7
For the purpose of this manual,
the ET leader, who will be responsible for and in charge of the ET, shall refer
to the person delegated the role of executing the EM&A requirements.
1.1For the purpose of this manual,
the ET leader, who willshall be
responsible for and in charge of the ET, shall refer to the person delegated
the role of executing the EM&A requirements.
1.8
The
Project proposes to decommission the existing CLS at Penny’s Bay in order to
make space available for the infrastructure construction in association with
the Hong Kong Disneyland Phase 1 development. Key works of the Project
comprise:
(a)
Demolition
of the existing structures within CLS;
(b)
Removal
of abandoned equipment/ installation/ facilities and waste materials in CLS;
(c)
Excavation
of the contaminated soil in CLS and transportation to the off-site treatment
plants at To Kau Wan;
(d)
Installation
and operation of the off-site treatment plants;
(e)
Decommissioning
of the off-site treatment plants, site re-instatement and associated clean up work
(f)
Slope
improving works behind the CLS; and
(g)
Filling
of the CLS to a new formation level after decommissioning.;
1.1
The Project
will be scheduled to commence in mid 2002. The preliminary Project programme is given in Table 1.1.
1.9
Table 1.1 Preliminary
Project
programme
Project Components |
Preliminary Working Period |
|
From |
To |
|
Demolition & excavation of contaminated soil |
July 2002 |
March 2003 |
Operation of on-site soil treatment plant |
November 2002 |
May 2003 |
Slope works behind CLS |
July 2002 |
December 2003 |
Preparation of TKW site |
July 2002 |
October 2002 |
Biopile operation at TKW |
November 2002 |
November 2004 |
Solidification operation at TKW |
March 2004 |
March 2006 |
Thermal desorption operation at TKW |
February 2004 |
February 2006 |
Filling of CLS after decommissioning |
October 2002 |
July 2003 |
TKW decommissioning |
February 2006 |
July 2006 |
1.10
The
layout of the work sites is shown in Figure 1.1. Air
quality, water quality and ecological sensitive receivers that may be affected
by the Project have been identified in the EIA report. They are shown in Figures
1.2 to 1.54.
Objectives of the Environmental Monitoring and Audit
1.11
The
main objectives of the EM&A programme are:
· to provide a database against which
any short or long term environmental impacts of the project can be determined;
· to provide an early indication
should any of the environmental control measures or practices fail to achieve
the acceptable standards;
· to monitor the performance of the
project and the effectiveness of mitigation measures;
· to verify the environmental
impacts predicted in the EIA Study;
· to determine project compliance
with regulatory requirements, standards and government policies;
· to take remedial action if
unexpected problems or unacceptable impacts arise; and
· to provide data against which
environmental audits may be undertaken.
2.1
This
section sets out the proposed environmental management system approaches that will
be implemented to ensure that the recommendations of the EIA are fully and
effectively implemented during the Project.
2.2
The
EIA Report provides an assessment of the predicted scope and extent of likely
impacts resulting from the decommissioning of the CLS and soil remediation work
at TKW. Mitigation recommendations have been specified to ensure that the
environmental quality objectives are met. The recommended mitigation measures
from the EIA Report are summarised in the form of an Implementation Schedule
(IS) (Appendix A).
2.3
An
integral part of these recommendations is the requirement to undertake an
EM&A process to verify the level of environmental performance achieved and
the effectiveness of the recommended mitigation measures.
2.4
The
EM&A Manual outlines the monitoring & auditing protocols which will be
necessary to achieve the objective of the EM&A programme. Implementation of the EM&A programme and the EM&A
data will reflect the Project’s compliance of the environmental quality
standard. It also serves as a feedback to the Contractor, Civil Engineering
Department (CED,
(the
Project Proponent), and the Environmental Protection Department (EPD) in determining iftelling
if the existing mitigation measures are adequate.
2.5
The EM&A Manual is
a dynamic document that will be reviewed and updated, where necessary upon
commencement of the Project.
2.6
In
order to ensure that Contractor implement the recommended mitigation measures upon
the Project commencement, the contract specifications shall include clauses
related to compliance with the appropriately recommended mitigation
measures/environmental monitoring requirements. In addition, the contract
specifications shall define appropriate contractual mechanisms to ensure
compliance with these environmental requirements.
2.7
The
contractual documentation shall require the Contractor to prepare, implement
and maintain an Environmental Management Plan (EMP).
2.8
It should
be noted that this EM&A Manual has been prepared during the design phase of
the Project and shall be reviewed and updated in accordance with any conditions
or requirements stipulated in the future Environmental Permit.
2.9
Upon the Project commencement
where the ENPO system is in place, updating and maintaining this EM&A
Manual shall be done by the ENPO. Alternatively, the ET Leader shall take up
the responsibility.
1.1Upon the Project
commencement where the ENPO system has been is in
place, updating and maintaining this EM&A Manual shall be done by the ENPO.
Alternatively, the ET Leader shall take up the responsibility.
Environmental Management Plans
2.10
In
order to ensure the effective contract specific implementation and reporting on
compliance with the stated mitigation measures, as well as the monitoring and
auditing requirements and remedial actions defined in the EIA Report, an
appropriate contractual and supervisory framework shall be established. Upon
commencement of the Project, the Contractor shall prepare an Environmental
Management Plan (EMP) that shall form the framework within which the
implementation of mitigation measures and good site practices are to be
managed.
2.11
An EMP
is similar in nature to a quality plan and provides details of the means by
which the Contractor (and all subcontractor working to the Contractor) shall
implement the recommended mitigation measures and achieve the environmental
performance standards defined in Hong Kong environmental legislation, the
Contract and in the EIA documentation. The primary reason for adopting the EMP
approach is to make the Contractor aware of his environmental responsibilities
and to be pro-active about the commitment to achieve the standards specified,
rather than relying on the EM&A programme.
2.12
The
EMP also provides opportunities for the Contractor to draw upon the strength of
other institutional processes such as ISO 9000/14000 to ensure that the
achievement of the required standards and fulfilment of commitments are
documented.
2.13
The
provision of an EMP shall be a contractual requirement, and the EMP needs to be
approved by the Engineer following verification fromorm the IECEATLIEC.
2.14
The
contractual requirement for an EMP generally comprises appropriate extracts
from (and references to) the Project EIA Report and EM&A Manual, and
include such typical elements as the relevant statutory environmental
standards, general environmental control clauses and specific environmental
management clauses, as well as an outline of the scope and content of the EMP.
In drafting the documentation, due consideration should be given to the
predictive nature of the EIA process and the consequent need to manage and
accommodate the actual impacts arising from the construction process. In
particular, the Contractor must be placed under a clear obligation to identify
and control any implications arising from changes to the working methods
assumed in the EIA Report, or to the progress rates and other estimates made
during the preliminary design phase.
Environmental Performance Reviews
2.15
The
environmental performance review programme comprises the regular assessment of the
effectiveness of the EMP, site practices and procedures to ensure that the
required mitigation measures are routinely implemented and that they are being
effective in achieving the required environmental standards.
2.16
The
criteria of the reviews shall be derived from the following:
· the approaches, procedures and
commitments given by the Contractor in their EMP;
· the clauses contained within the
Contractor’ Contractual Documentation; and
· those parts of the Contractor’ method
statements which relate to the minimisation of environmental impacts or other
specified environmental protection measures.
2.17
The
reviews shall focus on the effectiveness of the implemented measures to achieve
the purpose, not simply the fact that a measure has been implemented.
2.18
Review
protocols shall be developed by the ETEMTET Leader prior to the commencement of works
and it is suggested that the protocols should include inspection and auditing
of the following:
· the allocation of responsibility for
fulfilling environmental requirements, and agreed mitigation measures, and the
effectiveness of lines of communication with regard to environmental issues;
· compliance with procedures
established to enable an effective response to environmental incidents,
exceedances or non-compliance;
· the extent and accuracy of
record-keeping related to environmental performance indicators;
· the effectiveness of staff
training in ensuring high levels of awareness with regard to environmental
requirements; and
· the effectiveness of
environmental management activities.
2.19
The
protocols shall comprise checklists of environmental requirements and shall be
amended, throughout the construction phase as necessary, to focus on areas of
frequent non-compliance and to reflect the potential impacts associated with
specific activities within the construction programme.
2.20
It
is common practice for the Contractor to submit details of forthcoming works to
the Engineer to seek approval for the commencement of the works as well as the
methodology and equipment proposed to be used.
2.21
The
ETEMTET Leader shall
comment on deviations of the specific works from that assumed in the Project EIA
and advise on the implications of the changes in construction methods for
achieving the environmental performance criteria set out in the EIA
documentation and the EMP.
2.22
This
ongoing requirement for the Contractor to review proposed working methods, in
terms of their potential to impact upon the environment, will reduce the time
taken to implement the necessary environmental control measures and reduce the
number of iterations a measure may have to go through before becoming
effective.
2.23
Any
changes in construction methods shall be reflected in a revised EMP or the
Contractor is required to demonstrate the manner in which the existing EMP
shall accommodate the proposed changes.
3.1
In this
Section, the various parties involved in the EM&A process are outlined and
the proposed organisational structure of the organisations responsible
implementing the EM&A programme and their key responsibilities are
presented. Furthermore an alternative organisational structure is presented
with reference to the fact that a number of the construction contracts may be
undertaken concurrently in the future.
3.2
The
roles and responsibilities of the various parties involved in the construction
phase EM&A process outlined above are further expanded upon in the
following sections. The organisation and lines of communication with
respect to environmental works are shown in Figure 3.1.
3.3
The
duties and responsibilities of respective parties are as follows:
The Contractor:
· employ an Environmental Team (ET) to undertake
monitoring, laboratory analysis and reporting of environmental monitoring and
audit;
· provide assistance to ET in carrying out monitoring;
· submit proposals on mitigation measures in case of
exceedances of Action and Limit levels in accordance with the Event and Action
Plans;
· implement measures to reduce impact where Action
and Limit levels are exceeded; and
· adhere to the procedures for carrying out complaint
investigation.
Environmental Team:
· monitor various environmental parameters as
required in the EM&A Manual;
· analyse the environmental monitoring and audit data
and review the success of EM&A programme to cost-effectively confirm the
adequacy of mitigatory measures implemented and the validity of the EIA
predictions and to identify any adverse environmental impacts arising;
· carry out site inspection to investigate and audit
the Contractors' site practice, equipment and work methodologies with respect
to pollution control and environmental mitigation, and effect proactive action
to pre-empt problems;
· audit and prepare audit reports on the
environmental monitoring data and site environmental conditions;
· report on the environmental monitoring and audit
results to the IEC, Contractor, the ER and EPD or its delegated representative;
· recommend suitable mitigation measures to the
Contractor in the case of exceedance of Action and Limit levels in accordance
with the Event and Action Plans; and
· adhere to the procedures for carrying out complaint
investigation.
Engineer or Engineer’s
Representative:
· supervise the Contractor’s activities and ensure
that the requirements in the EM&A Manual are fully complied with;
· inform the Contractor when action is required to
reduce impacts in accordance with the Event and Action Plans;
· employ an IEC to audit the results of the EM&A
works carried out by the ET; and
· adhere to the procedures for carrying out complaint.
Independent Environmental
Checker:
· review the EM&A works performed by the ET (at
not less than monthly intervals);
· audit the monitoring activities and results (at not
less than monthly intervals);
· report the audit results to the ER and EPD in
parallel;
· review the EM&A reports (monthly and quarterly
summary reports) submitted by the ET;
· review the proposal on mitigation measures
submitted by the Contractor in accordance with the Event and Action Plans; and
· adhere to the procedures for carrying out
complaint.
Environmental Project Office
(ENPO)
Environmental
Monitoring Team
1.1Within the ENPO, an Environmental Monitoring Team
(EMT) shall be appointed to undertake all the environmental monitoring
requirements for each of the proposed construction contracts. An Environmental
Monitoring Team Leader (EMTL) shall be appointed to plan and organise the
implementation of the environmental monitoring programme, and to ensure that
the environmental monitoring is undertaken to the required standards. The main
objectives of the EMT will be to:
·to monitor the various environmental parameters as
required by this or subsequent revisions to the EM&A Manual; and
·to adhere to the agreed protocols or those in the
Contract Specifications in the event of exceedances or complaints.
Environmental Auditing Team Leader
1.1Within the ENPO, an Environmental Auditing Team
Leader (EATL) shall be appointed to independently audit and interpret the
monitoring data obtained by the EMT. The EATL shall also be responsible for
undertaking site audits/inspections to verify the overall environmental
performance of the works, and for assessing the effectiveness of the EMT in
their duties. The main objectives of
the EATL will be to:
·assess the EM&A data and review the success of
the EM&A programme determining the adequacy of the mitigation measures
implemented and the validity of the EIA predictions as well as identify any
adverse environmental impacts before they arise;
·to review and audit the environmental monitoring
data obtained by the EMT;
·arrange and conduct regular site inspections and to
investigate and inspect the Contractors’ equipment and work methodologies with
respect to pollution control and environmental mitigation, and to anticipate
environmental issues that may require mitigation before the problem arises;
·to report to the Engineer, the EPD and the Client
regarding the environmental monitoring and audit results and, in particular, on
compliance with the agreed environmental criteria, and on the general site
environmental conditions and the implementation of mitigation measures
resulting from site inspections; and
·provide specialist advice to the Engineer and/or
the Client on environmental matters.
1.1Whilst the members of the ENPO Team must be
suitably empowered in order to be effective in their role, it is not envisaged
that they will have the power to give instructions directly to the Contractors.
Any instructions to effect change or to stop the construction Works must be
made through the Engineer.
The Contractor:
1.1Reporting to the Engineer, the Contractors shall:
·work within the scope of the construction contract
and other tender conditions;
·participate in the site inspections undertaken by
the EATL, as required, and undertake any corrective actions instructed by the
Engineer;
·provide information/advice to the EATL regarding
works activities which may contribute, or be contributing to the generation of
adverse environmental conditions;
·implement measures to reduce impact where Action
and Limit levels are exceeded; and
·take responsibility and strictly adhere to the guidelines
of the EM&A programme and complementary protocols developed by their
project staff.
·employ an Environmental Team
(ET) to undertake monitoring, laboratory analysis and reporting of
environmental monitoring and audit;
·provide assistance to ET in carrying out
monitoring;
·submit proposals on mitigation
measures in case of exceedances of Action and Limit levels in accordance with
the Event and Action Plans;
·implement measures to reduce
impact where Action and Limit levels are exceeded; and
·adhere to the procedures for
carrying out complaint investigation in accordance with Section 6.3.
Environmental Team:
·monitor various environmental
parameters as required in the EM&A Manual;
·analyse the environmental monitoring and audit data
and review the success of EM&A programme to cost-effectively confirm the
adequacy of mitigatory measures implemented and the validity of the EIA
predictions and to identify any adverse environmental impacts arising;
·carry out site inspection to
investigate and audit the Contractors' site practice, equipment and work
methodologies with respect to pollution control and environmental mitigation,
and effect proactive action to pre-empt problems;
·audit and prepare audit reports
on the environmental monitoring data and site environmental conditions;
·report on the environmental
monitoring and audit results to the IECIEC,
Contractor, the ER and EPD or its delegated representative;
·recommend suitable mitigation
measures to the Contractor in the case of exceedance of Action and Limit levels
in accordance with the Event and Action Plans; and
·adhere to the procedures for
carrying out complaint investigation.
Engineer or Engineer’s
Representative:
1.1The term Engineer, or Engineers Representative
(ER), refers to the organisation responsible for overseeing the construction
works and for ensuring that they are undertaken by the Contractors in
accordance with the specification and Contractual requirements. The ER shall:
·monitor the Contractors’ compliance with contract specifications,
including the effective implementation and operation of environmental
mitigation measures and other aspects of the EM&A programme;
·comply with the agreed Event and Action Plan in the
event of any exceedance;
·liaise with the ENPO and assist as necessary in the
implementation of the environmental monitoring and auditing programme; and
·instruct the Contractors to follow the agreed
protocols or those in the Contract Specifications in the event of exceedances
or complaints.
supervise the Contractor’s
activities and ensure that the requirements in the EM&A Manual are fully
complied with;
·inform the Contractor when action is required to
reduce impacts in accordance with the Event and Action Plans;
·employ an IECIEC to audit
the results of the EM&A works carried out by the ET; and
·adhere to the procedures for
carrying out complaint investigation in accordance with Section 6.3.
Independent Environmental Environment
Checker):
·review the EM&A works
performed by the ET (at not less than monthly intervals);
·audit the monitoring activities and results (at not
less than monthly intervals);
·report the audit results to the
ER and EPD in parallel;
·review the EM&A reports
(monthly and quarterly summary reports) submitted by the ET;
·review the proposal on
mitigation measures submitted by the Contractor in accordance with the Event
and Action Plans; and
·adhere to the procedures for
carrying out complaint.
3.4
Sufficient
and suitably qualified professional and technical staff shall be employed by the
respective parties to ensure full compliance with their duties and
responsibilities, as required under the EM&A programme for the duration of
the Project.
4.1
In
this Section, the general requirements of the EM&A programme for the
Project are presented with reference to the relevant findings from the EIA
Report that have formed the basis of the scope and content of the
programme. .
Although not included
within the scope of the original Study Brief issued by the EPD for the Theme
Park and associated developments, a review has been undertaken to determine
whether there are likely to be any potential land contamination impacts as a
result of the Project’s implementation.
As no contamination concerns have been identified for the Schedule 2
Designated Projects that have been considered within this EIA Report, no
specific environmental monitoring and
auditing activities have been recommended.
4.2
The
environmental issues, which were identified during the EIA process and are
associated with the decommissioning of the CLS have been addressed through the
monitoring and controls specified in this EM&A Manual and in the
decommissioning contracts.
4.3
During
the demolition and remediation phases of the Project, air quality, water
quality, groundwater recharging, waste arising and terrestrial ecology shall be
subject to EM&A, with environmental monitoring being undertaken for air
quality, groundwater recharging and terrestrial ecology as per the EIA.
4.4
The
monitoring of the effectiveness of the mitigation measures will be achieved
through the environmental monitoring programme as well as through site
inspections. The inspections shall include within their scope, mechanisms to
review and assess the Contractor’ environmental performance, ensuring that the
recommended mitigation measures have been properly implemented, and that the
timely resolution of received complaints are managed and controlled in a manner
consistent with the recommendations of the EIA Report.
1.1
The environmental monitoring work throughout the Project period shall be
carried out by the ET; the monitoring workETEMTET. Monitoring works
shall comprise theof quantitative assessment of physical parameters
such as air quality impacts;at representative
sensitive receivers in the vicinity of theworks, together with the assessment
of possible impact from groundwater recharge and terrestrial
ecology impacts also forms an important part of the whole monitoring programme.
Monitoring programme shall be conducted at chosen representative sensitive
receivers in the vicinity of the CLS and TKW.impacts.
4.5
.
4.6
Action
and Limit (A/L) Levels are defined levels of impact recorded by the
environmental monitoring activities which represent levels at which a
prescribed response is required. These Levels are quantitatively defined later
in the relevant sections of this manual and described in principle below:
· Action Limits: beyond which there
is a clear indication of a deteriorating ambient environment for which
appropriate remedial actions are likely to be necessary to prevent
environmental quality from falling outside the Limit Levels, which would be
unacceptable; and
· Limit Levels: statutory and/or
agreed contract limits stipulated in the relevant pollution control ordinances,
HKPSG or Environmental Quality Objectives established by the EPD. If these are
exceeded, works should not proceed without appropriate remedial action,
including a critical review of plant and working methods.
4.7
The
purpose of the Event and Action Plans (EAPs) is to provide, in association with
the monitoring and audit activities, procedures for ensuring that if any
significant environmental incident (either accidental or through inadequate
implementation of mitigation measures on the part of the Contractor) does
occur, the cause will be quickly identified and remediated, and the risk of a
similar event recurring is reduced. This also applies to the exceedances of A/L
criteria identified in the EM&A programme.
4.8
In
addition, to monitoring noise, air and water quality levels as a means of
assessing the ongoing performance of the Contractor, the ETEMTET shall undertake
regular site inspections and audits of on-site practices and procedures. The
primary objective of the inspection and audit programme will be to assess the
effectiveness of the environmental controls established by the Contractor and
the implementation of the environmental mitigation measures recommended in the
EIA Report.
4.9
Whilst
the audit and inspection programme will undoubtedly complement the monitoring
activity with regard to the effectiveness
of dust suppression, noise attenuation measures and water quality control, the
criteria against which the audits shall be undertaken shall be derived from the
clauses within the Contract Documents which seek to enforce the recommendations
of the EIA Report and the established management systems.
4.10
The
findings of site inspections and audits shall be made known to the Contractor
at the time of the inspection to enable the rapid resolution of identified
non-compliances. Non-compliances, and the corrective actions undertaken, shall
also be reported in the monthly EM&A Reports.
4.11
Section
10 of this Manual presents details of the scope and frequency of on-site
inspections and defines the range of issues that the audit protocols shall be designed
to address.
Enquiries, Complaints and
Requests for Information
4.12
Enquiries,
complaints and requests for information can be expected from a wide range of
individuals and organisations including members of the public, Government
departments, the press and television media and community groups.
4.13
All
enquiries concerning the environmental effects of the construction works,
irrespective of how they are received, shall be reported to the Engineer and
via the Contractor directed to the ETEMTET which shall set up procedures for the
handling, investigation and storage of such information.
1.1
For
complaints the event and action plan can be found in Appendix B indicating the
roles and responsibilities of all parties involved.
4.14
In all
cases the complainant shall be notified of the findings, and audit procedures
shall be put in place to minimise the change of reoccurrence of the problem.
4.15
Monthly,
annual and bi-annual reports shall be prepared and certified by the ETEMTET and verified by
the IECEATLIEC. These reports
shall be submitted to the Engineer and EPD. The monthly reports shall be
prepared and submitted within 2 weeks of the end of each calendar month.
4.16
The
ETEMTET shall continue to
carry out environmental monitoring and site inspections until the completion of
the Project works.
The cessation of EM&A programme is
subject to the satisfactory completion of the EM&A Final Review Report.
IntroductionLand Contamination
5.1
EM&A
requirements for the secondary impacts, such as of air and water quality,
arising from the remediation work have been addressed elsewhere in this Manuale EIA
report. In The soil our remedial
proposal has
recommended, we recommend excavatingon the contaminated soil at CLS and on-site and/or off-site
treatment of soil. The contaminated soil shall will be
separated from the soil system, hence no monitoring for soil and groundwater at CLS is
required. The progress monitoring of soil treatment progress
system is
to gauge gauge the
effectiveness of the remedial systems, a purpose other than environmental
impacts and would not be included in the scope of EM&A.
5.2
Whenever the dewatering is
needed during excavation, the groundwater shall be recharged within 10m of the
extraction point and below the water table.
Regular monitoring of groundwater level at the recharge point and the
proximate locations is recommended to ensure insignificant migration of
contaminant in groundwater or soils due to the locally risen groundwater level.
5.3
TPH free product was
encountered during
the site investigation in one monitoring well in Building D (located at Area 1 of the
CLS site). It has been recommended in the EIA Report that any free product
encountered during excavation at Building D (or other areas of the CLS site) shall be
skimmed, containerised and collected by a licensed chemical waste collector
for final disposal. In this regard, it has
also been recommended
in the EIA Report that monitoring and confirmation sampling/tes/testitnging be carried out to ensure
complete removal of any free product encountered during excavation.
5.4
In addition, it has
been recommended in the EIA Report that confirmation sampling/testing
shall be carried out for: (ii) soil complete soil excavation (to
ensure complete excavation of of of contaminated
soil),;
(ii) biopile treatment (to ensure completeattainment
of cleanup targets); (iii) solidification
(to ensure attainment of cleanup targets); and (iv) thermal desorption process (to ensure attainment of cleanup targets).
Groundwater Recharge during Excavation
Monitoring Requirements
Groundwater
Recharge during Excavation
5.5
Where the dewatering is
needed during excavation, the groundwater shall be recharged within 10m of the
extraction point and below the water table.
It is
recommended that during dewatering groundwater level shall be monitored at five locations, viz. one (i(1)) at the recharge point; one (1ii) at 5m
down-gradient to the recharge point along the direction aligning the groundwater extraction point
centre of
the excavation area and the recharge point; and three (3iii) at 5m from the up-gradient to the recharge point in other 3 along the directions. aligning the
centre of excavation area and the recharge point; (iv) at 5m down-gradient to the recharge point along the direction
perpendicular to the alignment of the first 3 locations; and (v)
at 5m up-gradient to the recharge point along the direction perpendicular to the alignment of the first 3 locations. The
schematic arrangement of the five monitoring locations is given in Figure 5.1.
5.6
Baseline groundwater levels at eachvery monitoring locations shall be measured at the beginning of working day and before any recharge. Where
there is heavy
rain, the baseline monitoring shall be undertaken 1 or 2 days after the last
rainy day. Regular monitoring of
groundwater level at the five locations is recommended to ensure insignificant
migration of contaminant in groundwater or soils due to the locally risen
groundwater level. The frequency of the
monitoring is recommended to be every 5 minutes in the first hour and every
hour afterwards.
Compliance Assessment and Event/Action Plan
5.7
The purpose of the
groundwater level monitoring is to detect any likelihood of migration of soil
contaminants due to the locally risen groundwater level by the recharge. Should the likelihood of migration be
evident, followings
be observed, the groundwater recharge needs to be reduced in flow rate or to be
suspended. The event and action plan is
suggested in Table 5.1.
Table 5.1 Event and Action Plan
for the Groundwater Level Monitoring during Groundwater Recharge
Event |
Action |
Action Party |
1.
During recharge, the rise of groundwater level with reference to the
baseline at
recharge point EXCEEDS 1 metre. |
i)
The recharge rate shall
be reduced, AND/ OR ii)
The recharge shall be
suspended until the groundwater level at recharge point falls back to less
than 1m difference with the baseline. |
Contractor |
2.
The level difference between recharge
point and the monitoring location to the direction of extraction point is SMALLER than those between
recharge point and the other 3 monitoring locations. |
The recharge shall be suspended
and the recharge point shall be reviewed of its suitability by the ET in
consultation with the IEC. |
Contractor |
Free Product Removal of Free Product Encountered during Excavation
Monitoring
and Confirmation Sampling /Testing Requirements
5.8
Where TPH free
product is encountered at groundwater surrface during ing eat excavation excavation
at Building D or other areas within the CLS site, the free product shall be
skimmed off manually. The skimmed free
product shall then be
drummedcontainerised
properly and collected by a licensed
chemical waste collector.
5.9
Skimming of free product shall continue until there is no detectable no free
product on the groundwater surface. ( can be detected by an The usual detection limit of an oil/water interface probe (withwith a usual
detection limit of aboutis 1.5mm). At that time, a confirmation sample of
groundwater shall be collected at the
surface of the groundwater and analysed
for TPH by a laboratory accredited by the Hong Kong
Laboratory Accreditation Scheme (HOKLAS). If
Compliance Assessment and Event/Action Plan
5.10
Removal of all encountered TPH free product is
considered complete when: (ii) there is no detectable free product present on the surface of the groundwater whenre free product has been encountered and (ii) the TPH concentration of the confirmation sample is
below 2.13E+02 mg/L (whichtheallowable"” TPH concentration derived from risk-based assessment in the EIA Report). The eventSkimming of free product shall be continued until all encountered free product has been removed. The event and action plan for the removal of
TPH encountered free
product is given in Table 5.2.
Table 5.2 Event and Action Plan for Removal of
Encountered Free Product during Excavation
Event |
Action |
Action Party |
Detectable
|
Skimming of free product shall be continued until
no detectable free product is present on the groundwater surface. |
Contractor
|
TPH concentration
in the confirmation groundwater sample is higher than 2.13E+02 mg/L (allowable”
TPH concentration derived from risk-based assessment in the EIA Report). |
Skimming of free product shall be continued until
the TPH concentration in the confirmation groundwater sample is below
2.13E+02 mg/L. |
Contractor
|
Confirmation
Sampling /Testing for Soil
Excavation
Sampling
and Testing Requirements
1.1for aes undertakenshave beenThe confirmaition samples shall be
analysed for the chemicals that
exceedanceed the action
levels for soil remediation. If the
anly.
1.1
1.1both
Com
1.1aof the confirmation samples the The event
and action plan for confirmation sampling for soil excavation is provided in
Table 5.3.
Table 5.3 Event
and Action Plan for Confirmation
Sampling / Testing for Soil
Excavation
|
|
|
|
1.1Biopile
TreatmentConfirmation samples shall
be collected with sampling frequency of Oconfirmation
shall be collected forone
sample everyperThesamples
shall be collected at representative locations evenly distributed evenly throughout
the biopiles and at various dpeths within the biopiles. Sample
locations within the biopiles shall be documented accurately so that the
analytical results can be correlated with locations within the biopile..
1.1
1.1
4Biopile
Treatment Confirmation Sampling
/Testing for Soil Excavation
Sampling and
Testing Requirements
5.11
After excavation,
confirmation samples shall be undertaken at limits of excavation to confirm
that all contaminated soils have been excavated. The confirmation samples shall be analyse by an HOKLAS accredited
laboratory for the chemicals that exceeded the action level for soil
remediation.
5.12
For small excavation areas
(i.e. measure approximately 10m by 10m in size), one confirmation sample shall
be collected from the base and one from each sidewall of the excavation. The depth of sampling shall be based on the
depth of the original SI sample result that triggered excavation in that area. If SI samples from multiple depths exceeded
action levels and triggered excavation, confirmation samples shall be collected
for each depth where a sample exceeded these values. Furthermore, if there are any visible indications of impact,
samples shall be collected from the apparent impact zone(s).
5.13
For larger excavation
areas, confirmation samples shall be collected from sidewalls of the excavation
with a lateral spacing of not more than 15m.
At least one confirmation sample shall be collected from each sidewall. Depth of sidewall samples shall be based on
the depth of the original SI sample result that triggered excavation in that
area. If SI samples from multiple
depths exceeded action levels and triggered excavation, confirmation samples
shall be collected for each depth where a sample exceeded these values. Confirmation samples from the base of larger
excavation areas shall be collected on a grid spacing not larger than 15m by
15m (i.e. one sample per approximately every 225m2). In both cases, if there are any visible
indications of impact, samples shall be collected from the apparent impact
zone(s).
Compliance
Assessment and Event/Action Plan
5.14
If the analytical results
of the confirmation samples are below the concerned action levels for soil
remediation, removal of the contaminated soil shall be considered
complete. If the analytical results
exceed the relevant action levels, more soil shall be excavated either
laterally or vertically depending on whether the exceeding confirmation sample
is from a sidewall or excavation base, and additional confirmation samples
shall be collected and analysed until all confirmation samples are below the
relevant action levels. The event and
action plan for confirmation sampling/testing for soil excavation is provided
in Table 5.3.
Table 5.3 Event and Action Plan
for Confirmation Sampling/Testing for Soil Excavation
Event |
Action |
Action Party |
The concentration of the chemical(s) that
triggered the excavation exceed the relevant action levels for soil
remediation (as tabulated in Table 5.7). |
i)
More soil shall be
excavated either laterally or vertically depending on whether the exceeding
confirmation sample is from a sidewall or excavation base. ii)
Additional confirmation samples
shall be collected and analysed until all confirmation samples are below the
relevant action levels. |
Contractor Contractor |
Confirmation Sampling/Testing for Biopile Treatment
Sampling and
Testing Requirements
5.15
The objective of the biopile
closure assessment is to collect soil samples for testing in order to ensure
that the soil contaminant levels in the biopiles are below the cleanup targets
for TPH and SVOCs. Furthermore, for
soil to be treated subsequently by cement solidification, the levels of the
concerned metals will also be analysed to provide the baseline conditions.
5.16
Confirmation samples shall
be collected with sampling frequency of one sample per 100m3 soil
treated. The samples shall be collected
at representative locations distributed evenly throughout the biopile and at
various depths within the biopile.
Sample locations within the biopile shall be documented accurately so
that the analytical results can be correlated with locations within the biopile.
5.17
Access to the sampling
locations shall be through opening of heat bonded cover panels. These openings shall be closed after each
access. Extracting the soil samples
shall be accomplished using a hand auger or other methods approved by the
Engineer.
5.18
All soil samples shall be
analysed in an HOKLAS accredited laboratory for TPH (USEPA Method 8015 Mod),
SVOCs (USEPA Method 8270C) and the concerned metals (USEPA Method 9010B/9012A
for total cyanide; USEPA Method 7199 for hexavalent chromium; and USEPA Method
6010B for other metals).
Compliance
Assessment and Event/Action Plan
5.19
The laboratory results are
considered satisfactory when the levels of TPH and SVOCs in 95% of the samples
meet the cleanup targets. This
acceptability of 95% serves to allow for laboratory error for soil
analysis. In the event that more than
5% of the samples still exceed any cleanup targets, the biopile decontamination
system shall have to be restarted to fully remediate the soil. The event and action plan for confirmation
sampling/testing for biopile treatment is given in Table 5.4.
Table 5.4 Event and Action Plan
for Confirmation Sampling/Testing for Biopile Treatment
Event |
Action |
Action Party |
More than 5% of the samples still exceed the
respective cleanup targets for soil remediation (as tabulated in Table 5.7). |
Biopile decontamination system shall have to be
restarted to fully remediate the soil |
Contractor |
Confirmation Sampling/Testing for Solidification
Treatment
Sampling and
Testing Requirements
5.20
Following solidification
treatment for metal-contaminated soil and curing of the solidified soil,
confirmation sampling/testing shall be undertaken to ensure that the cleanup
targets have been attained.
5.21
Confirmation samples shall
be collected with sampling frequency of one sample per 100m3 of
treated material. Each sample shall be a composite sample collected
at 5 locations throughout the treated soil pile, and the same volume of sample
shall be collected at each of the locations so that the composite sample is not
biased.
5.22
Confirmation samples shall
be analysed in an HOKLAS accredited laboratory for the concerned soluble metals
using Toxicity Characteristics Leaching Procedure (TCLP) in accordance with
USEPA Method 1311.
5.23
In order to ensure the
soil will be solidified in the solidification process, all the soil treated
with solidification/stabilisation shall be tested for unconfined compressive
strength. All the treated soil shall
have unconfined compressive strength of at least 150 pound-force per square
inch (psi), with reference to USEPA guideline (USEPA 1986) for hazardous waste
solidification requirement.
Compliance
Assessment and Event/Action Plan
5.24
The “Universal Treatment
Standards” (UTS) shall be used for interpretation of the TCLP test results to
assess if the cleanup targets have been attained.
5.25
If
either the cleanup targets or the target unconfined compressive strength have been
achieved, the treated material shall be crushed and returned to the
solidification process. The event and action plan for confirmation
sampling/testing for solidification treatment is given in Table 5.5.
Table 5.5 Event and Action Plan
for Confirmation Sampling/Testing for Solidification Treatment
Event |
Action |
Action Party |
Respective cleanup targets (as tabulated in Table 5.7) of any confirmation samples
have not been attained. |
The treated material shall be crushed and
returned to the solidification until the respective cleanup targets have been
achieved. |
Contractor |
Unconfined compressive strength of 150
pound-force per square inch (psi) has not been attained for all confirmation
samples. |
The treated material shall be crushed and
returned to the solidification until the respective cleanup targets have been
achieved. |
Contractor |
Confirmation Sampling/Testing for Thermal Desorption
Treatment
Sampling and
Testing Requirements
5.26
Following thermal
treatment, confirmation sampling/testing shall be undertaken to confirm that
the dioxin-contaminated soil has been treated to the cleanup target.
5.27
Initially, the sampling frequency
shall be 1 sample per 50m3 of treated soil. Following the establishment of acceptable
system performance, we propose to collect one composite sample per day to
ensure the predefined cleanup objective is achieved. The composite is made up from samples collected every 4 hours so
that the composite is representative of the entire day’s performance. Subject to the soil feed rate, the sampling
frequency shall
be either one composite sample per day or 1 sample per 100m3, whichever is more frequent.
5.28
The confirmation samples
shall be analysed for dioxins (USPEA Method 8280A or 8290) and the concerned
metals (USEPA Method 9010B/9012A for total cyanide; USEPA Method 7199 for
hexavalent chromium; and USEPA Method 6010B for other metals).
Compliance Assessment and
Event/Action Plan
5.29
If the dioxin
concentration of all confirmation samples is below the cleanup target for
dioxin (1 ppb TEQ), the treated soil having metals concentrations exceeding the
action levels for soil remediation shall be subsequently treated using
solidification. If the cleanup target
of dioxins is exceeded, the whole batch of treated soil discharged by the
thermal desorption unit since the last confirmation sample achieving the
cleanup target shall be re-treated until the clean up target is met.
Table 5.6 Event and Action Plan for Confirmation Sampling/Testing for
Thermal Desorption Treatment
Event |
Action |
Action
Party |
The cleanup target of 1 ppb TEQ for dioxins is
not achieved for any confirmation sample. |
The whole batch of treated soil discharged by the
thermal desorption unit since the last confirmation sample achieving the
cleanup target shall be re-treated until the clean up target is met |
Contractor |
Table 5.7 Concerned Action Levels and Cleanup Targets for Soil
Remediation
Item |
Parameter |
Action Level (mg/kg or otherwise specified) |
Cleanup Target (mg/kg or otherwise specified) |
1 |
|
1000 (total) |
1000 (total) |
2 |
Arsenic |
30 |
5 (mg/L as TCLP) |
3 |
Barium |
400 |
21 (mg/L as TCLP) |
4 |
Cadmium |
5 |
0.11 (mg/L as TCLP) |
5 |
Chromium (total) |
250 |
0.6 (mg/L as TCLP) |
6 |
Cobalt |
50 |
Not available |
7 |
Copper |
100 |
7.8 (mg/L as TCLP) |
8 |
Lead |
150 |
0.75 (mg/L as TCLP) |
9 |
Nickel |
100 |
11 (mg/L as TCLP) |
10 |
Molybdenum |
40 |
Not available |
11 |
Tin |
50 |
Not available |
12 |
Zinc |
500 |
4.3 (mg/L as TCLP) |
13 |
Cyanide (total) |
50 |
590 (mg/L as TCLP) |
14 |
Phenol |
1 |
1 |
15 |
Styrene |
5 |
5 |
16 |
Naphthalene |
5 |
5 |
17 |
Benzo(a)pyrene (1,2-benzopyrene) |
1 |
1 |
18 |
|
1 (total) |
1 (total) |
19 |
Hexachlorobenzene |
0.4 |
0.4 |
20 |
Benzo(a)anthracene |
0.9 |
0.9 |
21 |
Bis(2-ethylhexyl)phthalate |
46 |
46 |
22 |
Benzo(b)fluoranthene |
0.9 |
0.9 |
23 |
Indeno(1,2,3-cd)pyrene |
0.9 |
0.9 |
24 |
Dibenz(a,h)anthracene |
0.09 |
0.09 |
25 |
Antimony |
31 |
1.15 (mg/L as TCLP) |
26 |
Hexavalent Chromium |
270 |
Not available |
27 |
Dioxins (2,3,7,8-TCDD equivalent) |
0.001 |
0.001 |
" the
"allowable during ex no free product Completed The purpose of the during C . The
THE TEXT IN THE FOLLOWING
SECTIONS IS CURRENT AND CORRECT AS OF 14 FEBRUARY 2000. HOWEVER, AS THE EIA REPORT IS BEING PREPARED
AND REVISED IN PARALLEL WITH THIS EM&A MANUAL, THERE IS THE POSSIBLILITY
THAT THIS TEXT MAY NOT BE TOTALLY CONSISTENT WITH THAT IN THE LATEST VERSION OF
THE EIA REPORT. HOWEVER, THE FINAL VERSION OF THIS EM&A MANUAL WILL CONTAIN
THE FINALISED TEXT FROM THE EIA REPORT.
6.1
In
this section, the requirements, methodology, equipment, monitoring locations,
criteria and protocols for the monitoring and audit of air quality impacts
during the decommissioning of the CLS and off-site soil remediation are
presented.
6.2
Two
types of monitoring programme shall be conducted in connection with the
Project. Ambient air quality for TSP
and dioxin shall be monitored at CLS and TKW during both demolition &
excavation and remediation phases. For
the soil remediation plants at TKW, emissions from the plant stacks (i.e.
biopile stack and thermal desorber stack) shall be regularly monitored.
6.3
The
objectives of the air quality monitoring shall be:
· to identify the extent of
construction dust and dioxin impacts on sensitive receivers during both demolition &
excavation and remediation phases;
· to determine the effectiveness of
mitigation measures to control fugitive dust and dioxin emission from activities during both demolition
& and excavation
and remediation phasesactivities;
· to audit the compliance of the
Contractor with regard to dust control, contract conditions and the relevant
dust impact criteria;
· to recommend further mitigation
measures if found to be necessary; and
· to comply with Action and Limit
(AL) Levels for air quality as defined in this Manual.
Demolition
& Excavation Phase Monitoring
6.4
Monitoring
and audit of the air pollutants levels shall TSP levels
shall be carried out by the ETEMTET to ensure that
any deterioration in air quality can be readily detected and timely actions
taken to rectify the situation.
Ambient Monitoring at Sensitive
Receivers
6.5
The
criteria against which ambient air quality monitoring shall be assessed are:
For Total Suspended
Particulate (TSP),
· The Hong Kong Air Quality
Objectives (AQOs) for TSP, 24-hour TSP levels of 260 mg/m3; and
· The statutory 1-hour TSP limit of
500 mg/m3.
For dioxin,
· The annual limit of 3.5 pg
I-TEQ/m3 as proposed by the
California Air Resources Board (CARB) of US Environmental Protection Agency.
· The 1-hour Health Protection
Concentration Level (HPCL) of 33.6 pg I-TEQ/m3 as stipulated in the
Technical Memorandum for Issuing Air Pollution Abatement Notices to Control Air
Pollution From Stationary Pollution Processes. ,
·
It
should be noted that there is no relevant 24-hr air quality criterion for
dioxin.,
Ffor
the purpose of this EM&A Manual, the receptor concentration level (RCL) of 24-hr average shall be normalised to a reference
receptor concentration
level (RRCL)
which is subject to compliance checking with the 1-hr HPCL. The normalisation procedure with reference to a working guideline of 24-hr average has been
derived from the 1-hr HPCL where the conversion is based on the mathematical
formula given in the TM for
Issuing Air Pollution Abatement Notices to Control Air Pollution From
Stationary Polluting Processes is given below.
RRCL(1-hr) = RCL(24-hr) (tHPCL/
tRCL) –0.28047 ;
Where tHPCL is 1 which is the averaging time for 1-hr HPCL;
tRCL is 24
which is the averaging time the measurement taken at the ASR.
·
The annual
limit of 3.5 pg I-TEQ/m3 as proposed by the California Air Resources Board (CARB) of US
Environmental Protection Agency suggests a significant cancer risk of greater than
10-4 and
unit risk factor of 38 (mg/m3)-1. The annual average dioxin concentration at the receiver for significant cancer
risk therefore
proposed for
the purpose of this Manual is 2.63 pg I-TEQ/m3 (i.e. the dividend of
significant cancer risk over unit risk factor). A . Given the conversion formula, the working guideline is
derived as:Quarterly average
of quarterly
biannually 24-hour monitoring results shall be checked for
compliance with thise
annual limit.
·
·
HPCL(1-hr) = HPCL(24-hr) ( 1 hr ) –0.28047 ;
24 hr
HPCL(24-hr) = HPCL(1-hr) ; where
HPCL(1-hr) is 33.6 pg I-TEQ/m3
24 0.28047
HPCL(24-hr) = 13.8 pg
I-TEQ/m3
6.6
These
levels are not to be exceeded at Air Sensitive Receivers (ASRs).
6.7
The
1-hour and 24-hour TSP and 24-hour dioxin levels shall be measured to
indicate their impacts arising from the demolition & excavation activities
at CLS. The TSP and dioxin levels shall be measured by following the standard
method as set out in High Volume Method for Total Suspended Particulates, Part
50 Chapter 1 Appendix B, Title 40 of the Code of Federal Regulations of the
USEPA and USEPA Method TO-9A[1].
6.8
24-hour
average TSP concentrations should be measured by drawing air through a high
volume sampler (HVS) fitted with a conditioned, pre-weighed filter paper, at a
controlled rate. After sampling for 24-hours, the filter paper with retained
particles is collected and returned to the laboratory for drying in a
desiccator followed by accurate weighing. 24-hour average TSP levels are
calculated from the ratio of the mass of particulates retained on the filter
paper to the total volume of air sampled. The analysis process normally takes
about two days to complete.
6.9
For
sampling of dioxin, a high-volume sampler with the pretreated quartz-fiber filter
and PUF glass cartridge should be used for 24 hours to sample 325 to 400m3
ambient air. After 24-hr sampling, the
PUF cartridge should be covered with another quartz filter filter and the whole
glass cartridge is then wrapped with the original aluminum foil, capped with
Teflon® end caps, placed back into the original shipping container, identified,
and shipped to the analytical laboratory for sample processing and analysis by
HRGC-HRMS.
1.1
1-hour average TSP and dioxin concentrations shall be
measured using the same monitoring method as 24-hour average (i.e. the HVS).
6.10
All
relevant data including temperature, pressure, weather conditions, elapsed-time
meter reading for the start and stop of sampler, identification and weight of
the filter paper, and other special phenomena and work progress of the
concerned site etc shall be recorded down in detail. A sample data sheet is
shown in Appendix CB.
Plant Emissions Monitoring
6.11
The plant emission limits adopted for the
purpose of this Manual are:
·
0.1 ng/m3 (at 0°C, 101.325 kPa, 11% O2
and dry condition) for
the concentration limit of dioxins; and
·
20 mg/m3 (at 0°C, 101.325 kPa, 11% O2
and dry condition) for
the concentration limit of Total Organic Carbons (TOC).
6.12
For stack sampling of dioxin for the thermal desorption
plant, a sample is
withdrawn isokinetically from the gas stream and collected in the sample probe,
on a glass fiber filter, and on a packed column of adsorbent material. The
sample cannot be separated into a particle and vapor fraction. The PCDD's and
PCDF's are extracted from the sample, separated by high resolution gas
chromatography (HRGC), and measured by high resolution mass spectrometry
(HRMS). The standard method of stack sampling and measurements shall be in
accordance with USEPA Method 23.[2]
6.13
TOC emissions from the stack of
thermal desorption and from biopile vents shall be monitored. Continuous
emission monitoring (CEM) system to be proposed by the Contractor shall be able to measure TOC
emission and other
plant performance parameters, such as oxygen, carbon dioxide and carbon
monoxide continuously. The measurement results shall be immediately recorded and
processes such that timely
remedial action can be implemented in case of
exceedance of emission standard.
Ambient Monitoring at Sensitive Receivers
6.14
For
measuring TSP, a high volume sampler (HVS) in compliance with the following
specifications shall be used for carrying out the 1-hr and 24-hr monitoring:
·
0.6 - 1.7 m3/ min-1 (20-60
SCFM) adjustable flow range;
·
equipped with a timing/control device with +/- 5
minutes accuracy for 24 hours operation;
·
installed with elapsed-time meter with +/- 2
minutes accuracy for 24 hours operation;
·
capable of providing a minimum exposed area of 406
cm2 (63 in2);
·
flow control accuracy: +/- 2.5% deviation over
24-hour sampling period;
·
incorporated with an electronic mass flow rate
controller or other equivalent devices;
·
equipped with a flow recorder for continuous
monitoring;
·
provided with a peaked roof inlet;
·
incorporated with a manometer;
·
able to hold and seal the filter paper to the
sampler housing at horizontal position;
·
easy to change the filter; and
·
capable of operating continuously for 24-hr period.
6.15
For
dioxin, HVS cCapable
of pulling ambient air through the filter/adsorbent cartridge at a flow rate of
approximately 8 standard cubic feet per minute (scfm) (0.225 std m3/ \min)
to obtain a total sample volume of greater than 325 scm over a 24-hour period
shall be used. A typical dioxin HVS is shown in Figure
6.1.
6.16
The
ETEMTET shall be
responsible for the provision of the monitoring equipment. He shall ensure that
sufficient number of HVSs with an appropriate calibration kit are available for
carrying out the baseline, regular impacts monitoring and ad -hoc monitoring. The HVSs
shall be equipped with an electronic mass flow controller and be calibrated
against a traceable standard at regular intervals, in accordance with
requirements stated in the manufacturers operating manual and as described
below. All the equipment, calibration kit, filter papers, etc shall be clearly
labelled.
6.17
The
flow rate of each HVS with mass flow controller shall be calibrated using an
orifice calibrator. Initial calibration of the dust monitoring equipment shall
be conducted upon installation and prior to commissioning. One point flow rate
calibration shall be carried out every two months. Five-point calibration shall
be carried out every six months.
6.18
The
flow-rate of the sampler before and after the sampling exercise with the filter
in position shall be verified to be constant and be recorded down on the data
sheet as mentioned in Appendix CBD.
6.19
Wind
monitoring equipment shall also be provided and set up at conspicuous locations
for logging wind speed and wind direction near to the dust monitoring
locations. For installation and operation of the wind data monitoring
equipment, the following points shall be observed:
·
the wind sensors should be installed on masts at an
elevated level 10 m above the ground, so that they are clear of obstructions or
turbulence caused by building(s);
·
the wind data should be captured by a data logger
and to be downloaded for processing at least once a month;
·
the wind data monitoring equipment should be re-calibrated
at least once every six months; and
·
wind direction should be divided into 16 sectors of
22.5 degrees.
6.20
In
exceptional situations, the ETEMTET may propose alternative methods to obtain
representative wind data upon approval from the IECEATLIEC and Engineer,
and agreed with EPD.
Plant Emissions Monitoring
6.21
For dioxin sampling of the
thermal desorption plant, the sampling equipment shall conform with the USEPA Method 23.
The schematic sampling train is shown in Figure 6.2. In particular, sealing greases shall not be used in assembling the
train.
6.22
Monitoring of TOC for the thermal
desorption plant and biopile shall be accomplished by a CEM system. The
specification and detection range of the CEM system shall be proposed by the contractor/ EMTET for the EATLIEC’s approval before the CEM
system commences.
1.1Table 6.1 presents the
recommended types and quantities of monitoring equipment required.
Table 6.1 Recommended
Monitoring Equipment
|
|
|
|
|
|
|
|
|
Laboratory Measurement/Analysis
6.23
A
clean laboratory with constant temperature and humidity control, and equipped with
the necessary measuring and conditioning instruments to handle the dust
samples, shall be available for sample analysis and equipment calibration and
maintenance. The laboratory shall be either HOKLAS accredited or another
internationally accredited laboratory.
6.24
If
a site laboratory or a non-HOKLAS accredited laboratory is used, the laboratory
equipment and measurements shall meet with the satisfaction of the Engineer in
consultation with the IECEATLIEC. The ETEMTET shall conduct regular
audits to determine the accuracy of the measurement results.
Ambient Monitoring at Sensitive Receivers
6.25
Air
quality monitoring stations representing the air
sensitive receivers have been identified in vicinity of the CLS and TKW. The air quality at each monitoring station shall be monitored
based on the Project phases. The Llocations of the monitoring
station (Figures
6.3 and 6.4) and the commencement time for each Project phase is is presented in Table 6.12
and depicted in Figure 6.2.
Table 6.12 EM&A Representative AirAmbient Air Quality
Monitoring Stations and their Commencement Time
ASR No. |
Location |
Ambient Air Quality
Parameters
to be Monitored |
|||
Building demolition and slope
improvement phase |
Remediation phase |
TKW decommissiong phase |
|||
At CLS |
At TKW |
||||
AM1 |
Penny’s Bay Power Station |
|
|
-- |
-- |
AM2 |
Dockyard Building next to TKW |
-- |
-- |
|
TSP |
AM3 |
Toll Plaza Administration Building of North
Lantau Expressway |
-- |
-- |
|
TSP |
|
|
|
|
6.26
Prior
to the commencement of the EM&A programme, the proposed air quality monitoring
stations shall be discussed and agreed with the Engineer, the ETEMTET, IECEATLIEC and EPD. When
positioning the samplers, the following points shall be noted:
· a horizontal platform with appropriate
support to secure the samples against gusty wind shall be provided;
· no two sampler shall be placed
less than 2 m apart;
· the distance between the sampler
and an obstacle, such as buildings, must be at least twice the height that the
obstacle protrudes above the sampler;
· a minimum of 2 m separation from
walls, parapets and penthouses is required for rooftops samplers;
· a minimum of 2 m separation from
any supporting structure, measures horizontally is required;
· no furnace or incinerator flue is
nearby;
· airflow around the sampler is
unrestricted;
· the sampler is more than 20 m
from the dripline;
· any wire fence and gate to
protect the sampler, shall not cause any obstruction during monitoring;
· permission must be obtained to
set up the samplers and to obtain access to the monitoring stations; and
· a secured supply of electricity
is needed to operate the samplers.
Plant Emissions Monitoring
6.27
Emissions of thermal desorption
stack and biopile vent shall be measured during soil remediation phase upon commissioning
of the remediation plant at TKW.
Monitoring points shall be at a stack/ vent location after treatment and
before discharge and shall be agreed with the EATLIEC and the Engineer
1.1
1.1Remediation Phase Monitoring
1.1Methodology and Criteria
1.1Monitoring and audit of the TSP levels shall be
carried out by the ET to ensure that any deterioration in air quality can be
readily detected and timely actions taken to rectify the situation.
1.1
1.1The criteria against which ambient air quality
monitoring shall refer to Section 6.5 of this Manual.
1.1
1.1The stack emission limits adopted for the purpose
of this Manual are:
1.11 ng/m3 for the
concentration limit of dioxins; and
1.120 mg/m3 for the
concentration limit of Total Organic Carbons.
1.1
1.1The ambient air quality criteria shall not be
exceeded at Air Sensitive Receivers (ASRs) and the stack emission limit shall
not be exceeded during operation of the remediation plant.
1.1
1.1The methodology of the ambient air quality
monitoring shall refer to Sections 6.7 – 6.101 of this Manual.
1.1
1.1For stack sampling of dioxin, a sample is withdrawn
isokinetically from the gas stream and collected in the sample probe, on a
glass fiber filter, and on a packed column of adsorbent material. The sample
cannot be separated into a particle and vapor fraction. The PCDD's and PCDF's
are extracted from the sample, separated by high resolution gas chromatography
(HRGCG), and
measured by high resolution mass spectrometry (HRMS). The standard method of
stack sampling and measurements shall be in accordance with USEPA Method 23.[1]
1.1
1.1Total Organic Carbons and other stack emissions,
e.g. oxygen, carbon dioxide and carbon monoxide shall be monitored by a
continuous emissions monitoring (CEM) system as proposed in the EIA report.
1.1
1.1Monitoring Equipment
1.1Specifications of the high volume samplers (HVS)
for measuring TSP & dioxin and the wind monitoring equipment shall refer to
Sections 6.112 – 6.167 of this
Manual.
1.1
1.1For stack sampling, the sampling train as shown in the
schematic diagram in Figure 6.3. Sealing greases shall not be used in
assembling the train.
1.1
1.1In exceptional situations, the ET may propose
alternative methods to obtain representative wind data upon approval from the
IEC and Engineer, and agreed with EPD.
1.1
1.1Table 6.2 presents the recommended types and
quantities of monitoring equipment required.
1.1
1.1Table 6.2 Recommended
Monitoring Equipment
|
|
|
|
|
|
|
|
|
Laboratory Measurement/Analysis
1.1A clean laboratory with
constant temperature and humidity control, and equipped with the necessary measuring
and conditioning instruments to handle the dust samples, shall be available for
sample analysis and equipment calibration and maintenance. The laboratory shall
be either HOKLAS accredited or another internationally accredited laboratory.
1.1If a site laboratory or a
non-HOKLAS accredited laboratory is used, the laboratory equipment and
measurements shall meet with the satisfaction of the Engineer in consultation
with the IEC. The ET shall conduct regular audits to determine the accuracy of
the measurement results.
Monitoring Locations
1.1Air quality monitoring stations
have been identified in vicinity of the CLS. The location of the monitoring
station is presented in Table 6.4 and depicted in Figure 6.4.
Table 6.4 EM&A
Representative Air Quality Monitoring Station
|
|
|
|
|
|
1.1Prior to the commencement of
the EM&A programme, the proposed air quality monitoring stations shall be
discussed and agreed with the Engineer, the ET, IEC and EPD. Criteria for
positioning the samplers shall refer to Section 6.23 of this Manual.
Ambient Monitoring at Sensitive
Receivers
6.28
Baseline
monitoring shall be carried out to determine the ambient 24‑hour and 1‑hour
TSP and 24-hour dioxin
levels at the monitoring locations prior to the commencement of the Project
works. During the baseline monitoring, there shall not be any construction or
dust generating activities in the vicinity of the monitoring stations.
1.1
For TSP, bBaseline
monitoring shall be carried out for a continuous period of at least two weeks
under typical weather conditions with the 24-hour and three 1-hour ambient
measurements taken daily at each monitoring location.
6.29
For dioxin, baseline monitoring shall be carried
out for 73 consecutive days with typical weather
conditions with the 24-hour ambient measurements taken daily at each monitoring
location. General meteorological conditions (wind speed, direction and
precipitation) and notes regarding any significant adjacent dust producing
sources shall also be recorded throughout the baseline monitoring period.
6.30
The
baseline monitoring will provide data for the determination of the appropriate
Action levels with the Limit levels set against statutory or otherwise agreed
limits.
6.31
Baseline
checking of ambient TSP
and dioxin dust levels shall be carried out every
six months at each monitoring location, when no dusty works activities are in
operation. If the ETEMTET considers that significant changes in the
ambient conditions have arisen, a repeat of the baseline monitoring may be
carried out to update the baseline levels and air quality criteria, after
consultation and agreement with the Engineer, the IECEATLIEC and the EPD.
Plant Emissions Monitoring
6.32
Before commencement, the remediation plant shall be subject
to a satisfactory commissioning test on the plant performance and emission
compliance. Upon the commissioning test
result, compliance
standards of plant
performance
parameters, such as oxygen, carbon dioxide and carbon monoxide shall be determined and shall
be checked against during impact monitoring.
Ambient Monitoring at Sensitive Receivers
6.33
The
monthly schedule of the compliance and impact monitoring programme shall be
drawn up by the ETEMTET one month prior to the commencement of the
scheduled construction period. For regular impact monitoring, a sampling
frequency of at least once in every six-days shall be strictly observed at all
of the monitoring stations for 24-hour TSP and dioxin monitoring. In case
of complaints, 1-hour TSP monitoring shall be conducted at least three times in
every six-days when the highest dust impacts are likely to occur.
6.34
It is recommended that 24-hour dioxin levels at monitoring
stations shall be monitored monthly for the first 6 months. After review of the 6-month monitoring result and subject to the agreement of the EATLIEC, the Engineer and EPD, the
monitoring frequency shall be stepped down to once every 3 months.
6.35
The impact monitoring programme
can be summarized in Table 6.2.
Table 6.2 Impact ambient air monitoring programme
Parameter |
Sampling hours |
Frequency |
TSP |
1 hour |
·
3 times every 6 days (as
required in case of complaints) |
24 hours |
·
Once every 6 days |
|
Dioxin |
24 hours |
·
Once every month for the
first 6 months ·
After review of monitoring
results and
subject to the agreement of the |
6.36
Before commencing the
monitoring, the EMTET shall inform the EATLIEC of the impact monitoring
programme such that the EATLIEC can conduct an on-site audit to ensure the
accuracy of the impact monitoring results.
1.1The specific time to start and
stop the 24-hour TSP monitoring shall be clearly defined for each location and
shall be strictly followed by the operator.
Plant Emissions Stack Monitoring
6.37
While TOC eEmissions of the plants of the stack are to be measured by a CEM
system, the dioxin emission of the thermal desorption stack soil remediation shall be composite sampled and determined measured at least monthly one time during during the plant operation. Monitoring requirements are
summarized in Table 6.3.commissioning of the facility.
Upon satisfactory commissioning test result, the
soil remediation facility shall be put to be
operational. The stack emission during facility operation shall be checked every month at a time interval to be agreed
with the Engineer and the IEC.
Table 6.3 Plant Emission Monitoring Requirements
Emission
Point |
Parameter |
Sampling
hours |
Sampling
details |
Frequency |
Biopile gas vent |
TOC |
Continuous |
CEM system |
Continuous |
Stack of thermal desorption plant |
TOC, O2,
CO& CO2 |
Continuous |
CEM system |
Continuous |
Dioxin |
3 hours (180 mins) |
Composite of 12 nos. of 15-min samples taken
during the plant operation hours |
Once every month
|
6.38
Action
and Limit (A/L) levels that
pprovide
an appropriate framework for the interpretation of monitoring results has to be agreed between EMTET, EATLIEC, EPD and the Engineer before commencement of the air monitoring.
The air quality monitoring data shall be checked against the agreed A/L levels.
Recommended A/L levels are as listed in Tables 6.45 and 6.56.
Table 6.45 Proposed Derivation
of Action and Limit Levels for Ambient Monitoring
Parameters |
Average Time |
Action Level |
Limit Level |
TSP |
24 hour |
-- For baseline level £ 200 mg/m3, Action Level = (baseline
level * 1.3 + Limit level)/2; -- For baseline level > 200 mg/m3, Action level = Limit level |
HKAQO of 260 mg/m3 |
1 hour |
-- For baseline £ Action Level = (baseline level * 1.3 +
Limit level)/2 -- For baseline £ 384 mg m-3 Action Level = Limit level
|
EIAO Statutory Limit of 500 mg/m3 |
|
Dioxin |
24 hour |
-- For baseline
level £ 10.6 pg I-TEQ/m3, Action level =
(baseline level * 1.3
* (1/24) –0.2
-- For baseline
level > 10.6 pg I-TEQ/m3, Action level = Limit level |
HPCL(1-hr) of 33.6 |
|
-- Action
level = Limit level |
Annual average of 2.63 pg I-TEQ/m3 as derived from CARB’s suggestion of the
significant cancer risk and unit risk factor.
|
Table 6.65 Proposed Action and Limit Levels for Plant Emissions Stack Monitoring
Emission
Point |
Parameter |
|
Biopile vent |
Total Organic Carbon (TOC) |
20 mg/m3 at 56 m3/min |
Thermal desorption stack |
Dioxin |
0.1 |
Total Organic Carbon (TOC) |
20 mg/m3 at 60 m3/min |
|
Oxygen, Carbon dioxide, Carbon monoxide |
To be agreed between |
Event and Action Plan (EAP)
6.39
The
principle upon which the EAP is based is on the
prescription of procedures and actions associated with the measurement of
certain defined levels of air pollution recorded by the environmental
monitoring process and the
agreed A/L levels. defined in
the tables above. Th e ET shall compare the impact monitoring results
with the air quality criteria (Tables 6.5) established
for 24-hour TSP and 1-hour TSP. In cases where exceedance of these
A/L levelcriterias occurs, the ETEMTET, the IECEATLIEC, the Engineer
and the Contractor shall strictly observe the relevant actions of the respective EAP (Tables 6.9 and 6.10) as described below.
Table 6.9 Event / Action Plan for Ambient Air Quality Monitoring
ACTION |
||||
|
|
ER |
CONTRACTOR |
|
ACTION LEVEL |
||||
1. Exceedance
for one sample |
1. Identify source, investigate
the causes of exceedance and propose remedial measures; 2. Inform 3. Repeat measurement to confirm
finding; 4.
Increase
monitoring frequency to daily. |
1. Check monitoring data
submitted by 2. Check Contractor’s working method. |
1. Notify Contractor. |
1. Rectify
any unacceptable practice; 2. Amend
working methods if appropriate. |
2. Exceedance
for two or more consecutive samples |
1. Identify source; 2. Inform 3. Advise the ER on the effectiveness
of the proposed remedial measures; 4. Repeat measurements to
confirm findings; 5. Increase monitoring frequency
to daily; 6.
Discuss with 7. If exceedance continues,
arrange meeting with 8. If exceedance stops, cease
additional monitoring. |
1. Check monitoring data
submitted by 2. Check Contractor’s working
method; 3. Discuss with 4. Advise the 5. Supervise Implementation of
remedial measures. |
1. Confirm
receipt of notification of exceedance 2. Notify Contractor; 3.
Ensure remedial
measures properly implemented. |
1. Submit
proposals for remedial to ER within 3 working days of notification; 2. Implement
the agreed proposals; 3. Amend
proposal if appropriate. |
LIMIT LEVEL |
||||
1. Exceedance
for one sample |
1. Identify
source, investigate the causes of exceedance and propose remedial measures; 2. Inform
IEC, ER 3. Repeat
measurement to confirm finding; 4. Increase
monitoring frequency to daily; 5. Assess
effectiveness of Contractor’s remedial actions and keep |
1. Check monitoring data
submitted by 2. Check Contractor’s working
method; 3. Discuss with 4. Advise the ER on the effectiveness
of the proposed remedial measures; 5. Supervise implementation of
remedial measures. |
1. Confirm receipt of
notification of exceedance 2. Notify Contractor; 3. Ensure remedial measures
properly implemented. |
1. Take immediate action to
avoid further exceedance; 2. Submit proposals for remedial
actions to 3. Implement the agreed
proposals; 4. Amend
proposal if appropriate. |
2. Exceedance
for two or more consecutive samples |
1. Notify IEC 2. Identify source; 3. Repeat measurement to confirm
findings; 4. Increase monitoring frequency
to daily; 5. Carry out analysis of
Contractor’s working procedures to determine possible mitigation to be
implemented; 6. Arrange meeting with 7. Assess effectiveness of
Contractor’s remedial actions and keep 8. If exceedance stops, cease
additional monitoring. |
1. Discuss amongst ER, 2. Review Contractor’s remedial
actions whenever necessary to assure their effectiveness and advise the ER
accordingly; 3. Supervise the implementation
of remedial measures. |
1. Confirm receipt of
notification of exceedance 2. Notify Contractor; 3. In consolidation with the 4. Ensure remedial measures
properly implemented; 5. If exceedance continues,
consider what portion of the work is responsible and instruct the Contractor
to stop that portion of work until the exceedance is abated. |
1. Take
immediate action to avoid further exceedance; 2. Submit
proposals for remedial actions to 3. Implement
the agreed proposals; 4. Resubmit
proposals if problem still not under control; 5. Stop
the relevant portion of works as determined by the ER until the exceedance is
abated. |
Table 6.10 Event / Action Plan for
Plant Emissions Monitoring
EVENT |
ACTION |
|||
|
|
ER |
CONTRACTOR |
|
ACTION/ LIMIT LEVEL
|
||||
1. Exceedance for one sample |
1. Identify source, investigate the causes of
exceedance and propose remedial measures; 2. Inform IEC, ER, Contractor and EPD; 1. Assess effectiveness of
Contractor’s remedial actions and keep IEC, EPD and ER informed of the
results. |
1.
Check monitoring data submitted by ET; 2.
Check Contractor’s working method; 3.
Discuss with ET and Contractor on possible
remedial measures; 4.
Advise the ER on the effectiveness of the
proposed remedial measures; 5. Supervise
implementation of remedial measures. |
1.
Confirm receipt of notification of exceedance in
writing; 2.
Notify Contractor; 3.
Ensure remedial measures properly implemented. |
1.
Take immediate action to avoid further
exceedance; 2.
Submit proposals for remedial actions to IEC
within 3 working days of notification; 3.
Implement the agreed proposals; 4.
Amend proposal if appropriate. |
1. Exceedance for two or
more consecutive samples
|
1. Notify IEC, ER,
Contractor and EPD; 2. Identify source; 3. Carry out analysis of Contractor’s
working procedures to determine possible mitigation to be implemented; 4. Arrange meeting with
IEC and ER to discuss the remedial actions to be taken; 5. Assess effectiveness of
Contractor’s remedial actions and keep IEC, EPD and ER informed of the results; 6. If exceedance stops,
cease additional monitoring. |
1.
Discuss amongst ER, ET, and Contractor on the
potential remedial actions; 2.
Review Contractor’s remedial actions whenever
necessary to assure their effectiveness and advise the ER accordingly; 3. Supervise the
implementation of remedial measures. |
1.
Confirm receipt of notification of exceedance in
writing; 2.
Notify Contractor; 3.
In consolidation with the IEC, agree with the
Contractor on the remedial measures to be implemented; 4.
Ensure remedial measures properly implemented; 5.
If exceedance continues, instruct the Contractor
to slow down
or stop the process until the exceedance is
abated. |
1. Take immediate action to avoid further
exceedance; 2. Submit proposals for remedial actions to
IEC within 3 working days of notification; 3. Implement the agreed proposals; 4. Resubmit proposals if problem still not
under control; 5. Slow down or stop the process as determined by the ER until the exceedance is
abated. |
6.40
The
EIA Report has recommended air quality control and mitigation measures during
the construction phases of the Project. These are outlined in the
Implementation Schedule (Appendix A). In
the event of exceedances or complaints, the Contractor shall be responsible for
reviewing the effectiveness of these measures and for proposing, designing and
implementing alternative measures as appropriate.
7.1
As
identified in the EIA Report, no adverse impact arising from building demolition at CLS, slope improvement and construction
of remediation plants at
TKW works during demolition/ excavation/ remediation
phases and from the seepage of contaminated groundwater from CLS are
expected with the implementation of good practices stipulated in EPD’s ProPECC Note PN 1/94
‘Construction Site Drainage’. Also the seepage
of CLS groundwater would
have no significant water quality impact on the marine water and drainage
channel in vicinity.
ThereforeHowever, the effluent of the centralised
wastewater treatment unit in TKW that cater leachate, contaminated runoff,
wheel wash no water and
decontamination water is to be monitored before being discharged into local
sewers/ drainage channels. quality monitoring for surface runoff to be
discharged during demolition and excavation at CLS hwill be required.
Auditing works during every Project phase should be carried
out to ensure that the Contractor implements the good practices to minimize the impact.
7.2
At every Project phase, the Contractor shall monitor
the water quality of effluent
of centralised water treatment units on-site, in accordance with the requirements of licence issued under Water
Pollution Control Ordinance. Subject to the licence requirement, the monitoring location(s)
shall be at each final
effluent discharge point. The effluent shall be monitored weekly for the first 3 months
and then monthly for
the following parameters as minimum.
·
Suspended solids,
·
TPH,
·
Metals (Ar, Cd, Cr, Cu, Pb, Ni, Zn), and
·
Dioxin.
7.3
The effluent sample shall be analysed by a HOKLAS laboratory for all parameters. The analytical method for every parameter shall be proposed by the Contractor/ EMTET for agreement with the EATLIEC, EPD and the Engineer prior to effluent testing.
Compliance Assessment and Action Plan
7.4
Discharge limits of water quality parameter
shall Action
and Limit (A/L) levels that provide an appropriate framework for the
interpretation of monitoring results has be specified in the Waste Disposal Ordinance
to be compatible with the requirement of discharge licence and shall
conform to the Technical Memorandum on Standards for Effluents Discharged into
Drainage and Sewerage Systems, Inland and Coastal Waters (TM-ES). Since TM-ES has no provision for dioxin,
it is proposed for
the purpose of this Manual that
‘undetectable concentration’ (i.e. < 10 pg I-TEQ/L) be adopted as the effluent discharge standard for dioxin. The analytical method
shall be subject to EPD’s agreement prior to commencement of testing.
7.5
Should any of the effluent discharge standards
be exceeded, the Contractor shall follow the event and action plan as suggested
in Table 7.1.
Table 7.1 Event and Action Plan for the Effluent
Discharge Monitoring
Event |
Action |
1.
Exceedance of discharge limit |
·
·
The Contractor to stop the
effluent discharge ·
The Contractor to propose
remedial action for ·
The Contractor resumes the discharge with the
approved remedial action implemented. |
Water Quality Mitigation Mitigation
Measures
1.1
The EIA Report has
recommended water quality control and mitigation
measures during every
phase of the Project.
These are outlined in the Implementation Schedule (Appendix A). In the event of exceedances or complaints, the
Contractor shall be responsible for reviewing the effectiveness of these
measures and for proposing, designing and implementing alternative measures as
appropriate. Monthly Weekly site inspections should be
carried out in order to ensure the mitigation measures are implemented and are
working effectively. The Contractor
shall be responsible for the design and implementation of these measures
illustrated below:
7.6
Demolition and Excavation
1.1Mitigation measures are required
to prevent and minimise the adverse water quality impacts during the shipyard
decommissioning and decontamination works. The details of the recommended mitigation measures are summarised
in the following sections.
Site Runoffs and Discharges
Surface runoff
1.1Surface run-off from the
construction sites should be directed into storm drains
via adequately designed sand/silt removal facilities such as sand traps, silt
traps and sediment basins. Channels,
earth bunds or sand bag barriers should be provided
on site to properly direct stormwater to such silt removal facilities. Catchpits and perimeter channels should be
constructed in advance of site formation works and earthworks.
1.1Silt removal facilities, channels
and manholes should be maintained and the deposited silt and grit should be
removed regularly, at the onset of and after each rainstorm to ensure that
these facilities are functioning properly at all times.
1.1If excavation cannot be avoided
during rainy seasons, temporarily exposed soil surfaces should be covered e.g.
by tarpaulin, and temporary access roads should be protected by crushed stone
or gravel, as excavation proceeds.
Intercepting channels should be provided (e.g. along the crest/edge of
the excavation) to prevent storm runoff from washing across exposed soil
surfaces. Arrangements should always be
in place to ensure that adequate surface protection measures can be safely
carried out well before the arrival of a rainstorm.
1.1Earthworks final surfaces
should be well compacted and the subsequent permanent work or surface
protection should be carried out as soon as practical after the final surfaces
are formed to prevent erosion caused by rainstorms. Appropriate intercepting channels and partial shelters should be
provided where necessary to prevent rainwater from collecting within the
trenches or foundation excavationfooting excavations. Groundwater, and rainwater if it cannot be completely
avoided, collected within the trenches or foundation excavationfooting excavations should be
pumped out and recharged back into the ground within the shipyard site.
1.1Open stockpiles of construction
materials (e.g. aggregates and sand) on site should be covered with tarpaulin
or similar fabric during rainstorms.
Measures should be taken to prevent the washing away of construction
materials, soil, silt or debris into any drainage system.
1.1Manholes (including any newly constructed
ones) should always be adequately covered and temporarily sealed so as to
prevent silt, construction materials or debris from getting into the drainage
system, and to prevent storm run-off from getting into foul sewers. Discharges of surface run-off into foul
sewers must always be prevented in order not to unduly overload the foul
sewerage system.
Wheel Washing Water
1.1All vehicles and plant should
be cleaned before they leave the construction site to ensure that no earth, mud
or debris is deposited by them on roads.
A wheel washing bay should be provided at every site exit, if
practicable, and wash-water should have sand and silt settled out or removed
before being discharged into the storm drains.
However, discharge of wheel wash water should be minimised and recycled
where possible. The section of
construction road between the wheel washing bay and the public road should be
paved with backfill to reduce vehicle tracking of soil and to prevent site run-off
from entering public road drains.
Wastewater from Site Facilities
1.1Sewage from toilets, canteens
and similar facilities should be discharged into a foul sewer or chemical
toilets should be provided. Should the
use of chemical toilets be necessary then these should be provided by a
licensed contractor, who will be responsible for appropriate disposal and
maintenance of these facilities.
Wastewater collected from canteen kitchens, including that from basins,
sinks and floor drains, should be discharged into foul sewers via grease traps.
1.1Vehicle and plant servicing
areas, vehicle wash bays and lubrication bays should, as far as possible, be
located within roofed areas. The
drainage in these covered areas should be connected to foul sewers via a petrol
interceptor. Oil leakage or spillage should
be contained and cleaned up immediately.
Waste oil should be collected and stored for recycling or disposal, in
accordance with the Waste
Disposal Ordinance.
Storage and Handling of Oil,
Other Petroleum Products and Chemicals
1.1All fuel tanks and chemical
storage areas should be provided with locks and be sited on sealed areas. The storage areas should be surrounded by
bunds with a capacity equal to 110% of the storage capacity of the largest tank
to prevent spilled oil, fuel and chemicals from reaching the receiving
waters. The Contractors should prepare
guidelines and procedures for immediate clean-up actions following any
spillages of oil, fuel or chemicals.
Dewatering during Excavation
1.1The contaminated groundwater
collected from the dewatering processes during the excavation and foundation
works would require treatment to meet the statutory water quality standards
before discharging into the storm drains.
Due to the difficulty of treatment, discharge is not recommended. Without compromising the water quality in
the neighbouring waters as discussed in the previous section, it is recommended
that the contaminated
ground water should be recharged back into the
ground in the vicinity. The recharge
scheme as recommended in the chapter of “Land Contamination
Assessment” of this Manual shall be
followed.
Groundwater Seepage
1.1Given that the water quality
impact arising from the seepage of contaminated groundwater into the adjacent drainage
channel is insignificant, no mitigation measure is considered necessary in this
respect.
Slope Works behind Cheoy Lee
Shipyard
1.1On-site measures as given in
Sections 7.4 – 7.13 are recommended to mitigate the potential water quality
impact.
Soil Remediation at To Kau Wan
1.1Mitigation measures are
required at the To Kau Wan site to minimize the potential water quality impacts
during the decontamination process.
Biopiling
1.1Upon formation of a biopile,
the biopile shall be covered by anchored imlow-permeable
geotextiles to prevent contaminated runoff. The exposed biopile section at any
time shall not be more than 5m in length.
1.1Impermeable liner shall be
placed at the bottom of the biopiles and leachate collection sump shall be constructed
along the perimeter of the biopiles to prevent leachate from contaminating the
underlying soil/groundwater.
1.1Concrete bund shall be
constructed along the perimeter of biopiles to prevent the runoff coming out
from the contaminated soil.
Solidification
1.1Any pit used for solidification
area shall be shallower than the water table to minimize the leaching of the
contaminated soils. And an imlow permeabileity
membrane/sheet shall be placed at the bottom of any solidification pit during the
solidification process.
1.1Concrete bund shall be
constructed along the perimeter of the solidification areas to prevent the
runoff coming out from the contaminated soil.
Thermal Desorption
1.1To avoid accidental spillage or
leakage of the contaminants to surroundings, the ground surface at the storage
areas should be covered with geotextile materials and the sealed cover of the
containers shall be lined with geosynthetic materials. All the condensates from the thermal
desorption processes would be concentrated for off-site disposal (non-aqueous
phase). The aqueous phase of the
condensate would be used to quench the temperature of the thermally-treated
soil and rehumidify it to reach a specified moisture content. Therefore no
aqueous phase wastewater will be produced.
Water Quality Monitoring
1.1During during
demolition and excavation at CLS site, the Contractor shall monitor the water
quality of surface runoff to be discharged, in accordance with the requirements
of Technical Memorandum on Standards for Effluents
Discharged into Drainage and Sewerage Systems, Inland and Coastal Waters. The monitoring location(s) shall be the discharge location(s). Should the monitoring results indicate that
the water quality assessment criteria for suspended solids, oil and grease, BOD
or COD are exceeded, the Contractor
shall inform the Engineer and rectify unacceptable practice. Treatment and/or disposal method shall be proposed by
the Contractor.
8.1
During
construction phase, waste management will be the contractor’s responsibility to
ensure that all wastes produced during every Project phase in accordance with
good waste management practices and EPD’s regulations and requirements. The Contractor shall also follow the Waste
Management Plan when managing all different types of wastes on site.
8.2
Waste
materials generated during demolition/ excavation or remediation activities,
such as construction and demolition (C&D) materials, chemical wastes,
asbestos and general refuse from the workforce, are recommended to be audited
at regular intervals (at least monthly) to ensure that proper storage,
transportation and disposal practices are being implemented. This monitoring of waste management
practices will ensure that these solid and liquid wastes generated during
construction are not disposed of into the surrounding storm drains. The Contractor will be responsible for the
implementation of any mitigation measures to minimise waste or redress problems
arising from the waste materials.
Waste Control and Mitigation Measures
8.3
Mitigation
measures for waste management are summarised below. With the appropriate
handling, storage and removal of waste arisings during the Project period as
defined below, the potential to cause adverse environmental impacts will be
minimised.
Construction and
Demolition Phase
Good Site Practice and Waste
Reduction Measures
8.4
It is not expected adverse waste
impacts would arise provided that good site practice is strictly followed. Recommendations for good site practice
during the decommissioning and demolition activities include:
·
Use waste haulier authorised or
licensed to collect specific category of waste;
·
Obtain the necessary
registration and licences under the Waste
Disposal Ordinance and the Waste
Disposal (Chemical Waste) (General) Regulation from the Environmental
Protection Department;
·
Nomination of an approved
person, such as a site manager, to be responsible for good site practice,
arrangements for collection and effective disposal to an appropriate facility,
of all wastes generated at the site;
·
training of site personnel in
proper waste management and chemical waste handling procedures;
·
provision of sufficient waste
disposal points and regular collection for disposal;
·
appropriate measures to
minimise windblown litter and dust during transportation of waste by either
covering trucks or by transporting wastes in enclosed containers;
·
separation of chemical wastes
for special handling and appropriate treatment at a licensed facility;
·
regular cleaning and
maintenance programme for drainage systems, sumps and oil interceptors;
·
a recording system for the amount
of wastes generated, recycled and disposed of (including the disposal sites);
·
In order to monitor the
disposal of C&D material and solid wastes at public filling facilities and
landfills, and control fly-tipping, a trip-ticket system shall be included as
one of the contractual requirements and implemented by the Environmental
Team. One may make reference to WBTC
No. 5/99 for details; and
·
A Waste Management Plan (WMP)
shall be prepared and this WMP shall be submitted to the Engineer for
approval. One may make reference to
WBTC No. 29/2000 for details.
8.5
Good management and control can
prevent the generation of significant amount of waste. Waste reduction is best achieved at the
planning and design stage, as well as by ensuring the implementation of good
site practice. Recommendations to
achieve waste reduction include:
·
segregation and storage of
different types of waste in different containers, skips or stockpiles to
enhance reuse or recycling of materials and their proper disposal;
·
to encourage collection of
aluminium cans, paper waste and plastic bottles by individual collectors,
separate labelled bins shall be provided to segregate this wastes from other
general refuse generated by the work force;
·
any unused chemicals or those
with remaining functional capacity shall be recycled;
·
use of reusable non-timber
formwork to reduce the amount of C&D material;
·
prior to disposal of C&D
waste, it is recommended that wood, steel and other metals shall be separated
for re-use and / or recycling to minimise the quantity of waste to be disposed
of to landfill;
·
proper storage and site
practices to minimise the potential for damage or contamination of construction
materials; and
·
plan and stock construction
materials carefully to minimise the amount of waste disposal and avoid
unnecessary generation of waste.
8.6
In addition to the above good
site practice and waste reduction measures, specific mitigation measures are
recommended below for the identified waste arising to minimise environmental
impacts during handling, transportation and disposal of these wastes.
Waste Recycling
8.7
To minimise the amount of waste
disposal to landfills, the general refuse (not contaminated) shall be reused
and recycled as much as practical.
Waste sorting and segregation shall be carried out in accordance with
the following categories for recycling:
·
Plastic (i.e. plastic bag,
plastic bottle, plastic packaging, etc.)
·
Rubber;
·
Paper;
·
Wood/ timber;
·
Glass;
·
Textile; and
·
Metal (i.e. aluminium can,
steel metal, ferrous metal, and non-ferrous metal).
Asbestos
8.8
Although not covered in this
Report, the removal shall follow the approved AAP and conditions stipulated in
the EP for Asbestos Abatement work in CLS at Penny’s Bay and the Code of
Practice on the Handling, Transportation and Disposal of Asbestos Waste.
Chemical Waste
8.9
Removal Sequence: As asbestos removal will precede building
demolition, so the concern will be non-asbestos chemical waste. To avoid disturbance of potential chemical waste
during building demolition, all movable objects including sand/ grit/ deposits
inside the building under demolition shall be cleared in advance. “Movable objects” shall mean all items
inside the building other than those belong parts of the building structure or
are anchored firmly on the building structure/ existing ground. All movable
objects including sand/ grit/ deposits shall be treated as chemical wastes and
placed in drums and delivered to a centralised covered area on site. No mixing or off-site disposal of the waste
shall be allowed. The non-removable
objects shall be covered with the heavy-duty polythene sheets for later
disposal. Transportation and storage of
the waste shall be in accordance with the relevant chemical waste regulations. Particularly the requirement of spill
prevention measures, worker protection (e.g. PPE) and proper segregation from
other wastes shall be observed. Whereas all other chemical wastes outdoors
(except dioxin-contaminated soil which shall be transported by roll-off trucks
for added safety) shall be handled and stored in accordance with Waste Disposal Ordinance and Waste Disposal (Chemical Waste) (General)
Regulation.
8.10
Workers involved in the
handling of chemical waste shall be suitably trained and shall wear appropriate
protective masks and clothing when handling such materials. Chemical wastes shall be handled according
to the Code of Practice on the
Packaging, Labelling and Storage of Chemical Wastes. Spent chemicals shall be stored and collected by licensed
collectors for disposal at licensed facilities in accordance with the Waste Disposal (Chemical Waste) (General)
Regulation.
8.11
Containers used for the storage
of chemical waste shall:
·
Be suitable for the substance
they are holding, resistant to corrosion, maintained in good condition, and
securely closed;
·
Have a capacity of less than
450 litres unless the specifications have been approved by the EPD; and
·
Display a label in English and
Chinese in accordance with instructions prescribed in Schedule 2 of the
Regulations.
8.12
The storage area for chemical
waste shall:
·
Be clearly labelled and used
solely for the storage of chemical waste;
·
Be enclosed on at least 3
sides;
·
Have an impermeable floor and
bunding, of capacity to accommodate 100% of the volume of the largest container
or 20% by volume of the chemical waste stored in that area, whichever is the
greatest;
·
Have adequate ventilation;
·
Be covered to prevent rainfall
entering (water collected within the bund must be tested and disposal as
chemical waste if necessary); and
·
Be arranged so that
incompatible materials are adequately separated.
8.13
Disposal of chemical waste
shall:
·
Be via a licensed waste
collector; and
·
Be at a facility licensed to receive
chemical waste, such as CWTC which offers a chemical waste collection service
and can supply the necessary storage containers; or
·
Be a recycler of the waste,
with waste disposal licence from the EPD.
Sorting of C&D Material
On-site
8.14
The Contractor shall separate
the C&D material including steel, timber and scrap metals from other
wastes, as far as practical, and shall arrange for recycling and reuse on site
to the extent possible. All C&D
materials arising from demolition work shall be sorted on-site and be separated
into different groups for disposal at landfills, PFAs, or recycling as
appropriate in accordance with WBTC No.
5/98. To maximise landfill life,
Government policy discourages the disposal of C&D wastes with more than 20%
inert material by volume (or 30% inert material by weight) at landfill. Inert C&D material (public fill) is
directed to reclamation areas or to an approved public filling area (PFA),
where it has the added benefit of offsetting the need for removal of materials
from borrow areas for reclamation purposes. Due to limited space at landfills,
disposal at reclamation sites or PFAs would be the preferred option. A trip-ticket system for disposal of C&D
material as detailed in WBTC No. 5/99
shall be followed. Finally, a method
statement for the sorting, processing and disposal of C&D materials arising
from demolition work shall be submitted by the Contractor to the Engineer for
his approval.
Building Indoor Surfaces
Containing Contaminated Residues
8.15
Building sampling shall be
carried out prior to demolition to characterise the contaminants present on the
building surfaces and identify suitable reagents for decontamination. After contaminants characterisation, a
Decommissioning Plan shall be prepared by the specialist Contractor
recommending the indoor remediation protocols as well as the demolition method
(preferably a top-down and non-explosive approach) for the Engineer’s
approval. Those building containing
contaminated residues shall be decontaminated first before demolition. In general, the building decontamination
may include the following processes:
·
Power washing;
·
Scabbling;
·
Grit blasting; and
·
Confirmation testing.
8.16
Power washing and grit blasting
will produce secondary wastes, so scabbling is the preferred method of
cleaning. To ensure effective and
proper cleaning, adequate on-site supervision by competent personnel is
required.
8.17
After completion of building
decontamination, the material can be discarded as normal C&D material. The chemical deposits or residues from
scabbling will be disposed of to CWTC for ultimate disposal.
General Refuse
8.18
General refuse shall be stored
in enclosed bins or compaction units separated from C&D material and
chemical wastes. No open stockpile of general
refuse is allowed on site to minimise environmental impacts. A reputable waste collector shall be
employed by the contractor to remove general refuse from the site, separately
from C&D material and chemical wastes, on a daily or every second day basis
to minimise odour, pest and litter impacts.
8.19
Aluminium cans, paper waste and
plastic bottles are often recovered from the waste stream by individual
collectors if they are segregated or easily accessible, so separate labelled
bins for their deposit shall be provided if feasible. Site office waste can be
reduced through recycling of paper if volumes are large enough to warrant
collection. Participation in a local
collection scheme shall be considered if one is available.
8.20
The excavated soil and rock
shall be disposed of to PFAs. In
addition, a Waste Management Plan shall be prepared by the Contractor in order
to keep waste arising to a minimum and to ensure that waste is handled, transported
and disposed of in a suitable manner.
8.21
The design of slope work shall
be planned carefully to maximise the preservation of existing profiles with
stabilisation as necessary to minimise cutting and filling.
Cheoy Lee Shipyard Site
8.22
On handling contaminated soil,
especially of dioxin-contaminated, site workers and the backhoe operators shall
be protected from skin contact and inhalation of soil gas. The protection shall be achieved by
providing each worker/ operator sufficient personal protective equipment, such
as coverall, respirator, etc. and suitable training on handling contaminated
waste.
8.23
Chemical wastes shall be
handled in compliance with the provisions of Waste Disposal (Chemical Waste) (General) Regulation. The site contractors, workers and operatives
shall also be required to follow appropriate procedures on handling chemical
wastes according to the Code of Practice
on the Packaging, Labelling and Storage of Chemical Wastes.
8.24
Identified asbestos waste shall
be handled in accordance with the Project Profile of Asbestos Abatement Work in
CLS, however, the asbestos discovered in soil of Area 3 shall follow the
following requirements:
·
While the APCO requires
registered professionals to undertake the abatement work, the Waste Disposal Ordinance and the Waste Disposal (Chemical Waste) (General)
Regulation provide control on the packaging, labelling, storage, collection
and disposal of asbestos waste.
Asbestos wastes shall be handled in accordance with the Code of Practice on the Handling, Transportation and Disposal of Asbestos
Waste issued by the Environment and Food Bureau.
·
Asbestos waste, by definition
under the Waste Disposal (Chemical Waste)
(General) Regulation, is categorised as chemical waste of which the arrangement
of production, collection and disposal will follow the ‘trip-ticket’ system as
with other chemical wastes. The
registered asbestos contractor who is the waste producer shall appoint a
licensed asbestos waste collector to collect the packaged asbestos waste and
deliver to the designated landfill for disposal. Under the Waste Disposal Ordinance and
Waste Disposal (Chemical Waste) (General) Regulation, directions of
asbestos disposal shall be obtained from the EPD and prior arrangement with the
landfill operator shall be made before disposal.
Collection and
Transportation of Wastes
8.25
Dump trucks will be extensively
used for the transit of waste, other than material contaminated with dioxin
which will be transported by roll-off trucks between the excavation area and
TKW. The following precautionary
measures shall be taken to avoid spillage, wind erosion and incident in
transit.
·
Transportation of contaminated
soil shall be escorted to improve road safety;
·
Strict speed limit shall be
imposed on the whole length of the haul road;
·
Never overload the trucks to
prevent spillage of contaminated soils;
·
Dioxin-contaminated material
shall be transported in roll-off trucks (containers).
·
Always cover the payload on
each dump truck with strong and low permeable sheeting or the likes to
withstand wind and rain while the truck is travelling; and
·
Adequately but not excessively
wet the payload to reduce dust generation.
8.26
As dioxin-contaminated soil is
classified as chemical waste, the trucks shall be labelled, handled and
transported in accordance with the Waste
Disposal Ordinance and the Waste Disposal (Chemical Waste) (General)
Regulation. When the trucks approach the TKW Site, they will approach from
west well clear of the east side of the site thereby avoid disturbance to the
area where the group of egrets was sighted.
8.27
Dioxin condensate
(oily residue) generated from the thermal desorption plant shall be transported in heavy duty
and sealable drums, which will then be collected by CWTC’s own fleets which are
designed and licensed for the collection of hazardous and chemical wastes.
8.28
Finally, a contingency plan
shall be prepared by the Contractor to spell out the necessary procedures to be
taken and in case of accident and/ or emergency when transporting the contaminated
soil to off-site location(s). All
responsible parties and/ or persons and their contact numbers shall be listed
in the plan.
Material Handling,
Transportation and Storage
8.29
The movement of contaminated
material between the shipyard and the off-site treatment area needs to be
carried out in a controlled manner taking reasonable precautions to minimize
potential losses that might otherwise have significant environmental impacts.
The measures recommended need to take into account the degree of contamination
of the material involved and the potential impact of losses. This subsection
considers the requirements for material handling, transportation and storage in
order to arrive at an appropriate scheme to minimise environmental risks in a
cost effective manner.
8.30
Material Handling and Transportation: Material contaminated with heavy metals, TPH and
SVOCs will be handled in the established manner using bulk earth moving
equipment for on-land works including excavation by excavators on site. Dump trucks
with sealed rear gates will be used to move the contaminated material between
the shipyard and the To Kau Wan works area.
The contaminated material in the trucks shall be covered with low
permeability sheeting (i.e. HDPE) to prevent ingress of rainwater during
transportation.
8.31
Additional precautions relating
to the material handling and land transportation for dioxin-contaminated soil
are recommended. Roll-off trucks
(containerised) are recommended to minimise the risk of material loss during
material handling and transportation, particularly in the event of an incident.
Direct loading of material into containers at the point of excavation is
recommended to minimise double handling and any associated losses. The use of
containers will also minimise the risk of material loss during transportation
by road. Contingency plans will need
to be prepared by the Contractor to specify the accident response action,
containment and retrieval procedure.
8.32
Assuming 6 to 10m3 capacity
trucks the total number of laden truck movements of excavated non-dioxin
contaminated material from CLS to TKW would be between 900 to 1,500. On the basis that this excavation work was
carried out over a period of 6 months this equates to around 6 to 10 truck
loads per day.
8.33
The use of roll-off trucks
(containerised) have been assumed for dioxin-contaminated material shipments.
These containers would be reused after each shipment. The size of containers
varies and a rated capacity between 6m3 and 12m3 has been
assumed. Allowing for a shipment of between 6m3 and 12m3
(11.3 tonnes to 22.7 tonnes) of contaminated material and based on the
estimated total volume of about 30,000m3 of dioxin-contaminated
material, a total of between 2,500 and 5,000 truck loads would be
required. One
the basis that excavation work was carried out over a 6 month period this
equates to around 16 to 32 truck roads per day.
8.34
Storage: A number of factors could affect the method of
storage of material contaminated with dioxin.
These include the need for and method and extent of transportation to
the off-site treatment area, the available storage area and any potential need
to move the material to an alternative treatment area.
The most economic method of
storage is to stockpile the contaminated material in earth bunds covered by
impermeable membranes to prevent wind erosion and exposure to rain. An impermeable base and drainage system is
also required to collect the contaminated leachate. In this case the impermeable base could be formed using a
reinforced concrete slab graded to drain leachate through filter membranes to
channels and catchpits. The slab would
provide a practical hard surface for material handling whilst preventing
leakage of any contaminated material. The
sides of the stockpiles could either be sloping at angles slightly less than
the natural angle of repose of the contaminated material, or be formed using
reinforced concrete walls to minimise storage space requirements.
Containerised storage of
dioxin-contaminated material has been considered. This could involve the use of
standard 20ft long containers. The contents of contaminated material may vary
according to the type of container used. For the purpose of this estimate the
volume of contaminated material has been assumed to be 11.7cum (24 tonnes
including container self weight). The number of containers required for the
total 30,000m3 quantity of dioxin contaminated material would
therefore be 2,564. These could be stacked 3 containers high (2.59 x 3 = 7.8m)
in a block formation occupying a total net area of 1.3ha. The stacking of these
containers could be carried using a standard reach stacker or a fork lift
truck. The stacking area could be formed using a gravel bed foundation or using
a sealed pavement.
The containers would need to be
scrapped after proper decontamination at the end of the project because of the
health risks from dioxin contamination and the relatively high cost of
verifying the effectiveness of any container cleansing works at the end of the
project.
The stockpile method would
involve forming a stockpile on a paved area. The side slopes of the stockpile
would need to be around 30 degrees to horizontal to maintain adequate
stability. Assuming a total height of the stockpile of 3 metres, a total net
area of 1.5ha would be required.
8.35
The use of controlled
stockpiling A more land
use efficient method of storage would use a stockpile contained within a reinforced concrete storage bin area has been recommended. Assuming a height of 3 metres
for the surrounding wall and a free stockpile height above the top of the wall
of an additional 3 metres, the net area required for storage would be 0.66 ha.
The storage bin solution preferred where site area is limited because of the
more efficient use of available landuse.
The containerised storage
option is not preferred because the containers would require either extensive
cleaning and testing to verify they were completely decontaminated and suitable
for general reuse or scrapping at the end of the project. The use of storage bins are also not
preferred because of the larger volume of C&D material generated from the
demolition of the retaining walls around the bin. Given that adequate space exists at To Kau Wan, the controlled
stockpile storage method is preferred.
8.36
To further reduce impacts on
air quality, the use of a structure over the storage area has been included.
The proposed scheme involves a storage height of 5 metres with additional
height for headroom and a roof. The roof structure would be in place prior to
the deposition, storage or removal of material from the storage building.
8.37
Only one-sided operation is
provided for within the storage building.
The roofing will protect against rain and wind and as such, rainwater will
not enter the storage area but will be diverted to the sides of the building
and collected in gutters and drain
pipes and discharged into the stormwater drainage system.
8.38
For the bulk storage of general
contaminated material for solidification only, a stockpile is proposed for
storage up to an overall height of 5 metres over a net storage area of 1.0ha.
Material stored to the design height shall be covered using a low permeability
sheeting.
Treatment Area
8.39
As discussed in Sections 3 and 4,
the off-site treatment area will be temporarily used for stockpiling of
contaminated and treated soil, and soil remediation including biopiling,
solidification and thermal desorption.
Chemical wastes/ by-products will be generated from such operations and
processes. During soil handling and
transportation, spillage or leakage may occur resulting the potential
contamination of the surfaces of housing unit.
The bin structure for stockpiles, containment structure and concrete
floor at the treatment site shall be decontaminated after completion of
remediation. It is recommended that
these structures be decontaminated by scabbling and then be discarded as normal
C&D material. The chemical deposits
or residues from scabbling will be disposed of at CWTC for ultimate
disposal.
8.40
Note that the potential land
pollution will be limited to the surfaces of the housing unit and will unlikely
be extended to the subsurface strata as the whole site will be concrete paved,
and the stockpiling areas will be lined and installed with proper containment
structures.
Off-Site Decontamination
Works
8.41
Most of the soils after
treatment will turn to clean inert materials suitable for public filling. The condensate as the end product of the
thermal desorption process and other chemical wastes (e.g. spent activated
carbons & filters) generated shall be temporarily stored in a secure
hut. Such waste will be collected by
licensed collectors and disposed of at the CWTC bi-daily to avoid bulk storage
at treatment site. Pending collection,
the chemical waste shall be packaged and where necessary stored temporarily
on-site in accordance with the Waste
Disposal (Chemical Waste) (General) Regulation.
8.42
It was known that the CWTC is
able to handle the chemical wastes generated over the course of this Project.
However, prior arrangement shall be made to avoid compromising the daily
operation of CWTC.
Treatment of Oily Residue at
CWTC
8.43
Though CWTC is designed to
handle hazardous organic pollutants including PCB and dioxins, the following measures
are proposed to ensure the handling of dioxin condensate arising from this
Project will not compromise the performance & operation of CWTC:
·
A batch of the oily condensate
will be sent to CWTC for a performance test and treatment shall begin only after
performance tests have been passed.
·
Treatment of condensate shall
be in batches with a campaign every week or every two weeks.
Precautionary Measures
during Wet and Typhoon Seasons
8.44
The following measures are recommended
to minimise the water quality impact at the treatment site during typhoon
seasons:
·
Surface runoff from the
treatment site shall be directed into storm drains via adequately designed
sand/ silt removal facilities such as sand traps, silt traps and sediment
basins. Channels, earth bunds or sand
bag barriers shall be provided on site to properly direct stormwater to such
site removal facilities.
·
Catch-pits and perimeter
channels shall be constructed in advance of site preparation works.
·
Open stockpiles on site shall
be covered with tarpaulin during rainstorms.
Measures shall be taken to prevent the washing away of soil into any
drainage system.
·
The storage area for excavated
soil from CLS shall be roofed and covered.
In addition, run-on/ run-off control elements shall be constructed. Finally, the floor shall be concrete
paved.
·
A dedicated water treatment
unit (standalone from the water treatment unit of the thermal desorption for
polishing the aqueous condensate) shall be constructed for the treatment of
contaminated run-off, leachate collected and decontamination water.
Equipment Decontamination
Requirement
8.45
For excavation and transport
equipment at the CLS or treatment site, if it stays within the contaminated
zone, such as excavation and stockpiling areas, it shall be decontaminated
(typically steam cleaning) prior to leaving the contaminated zone. The contaminated zone shall need to be
clearly defined with fencing. The exit
of the contaminated zone shall have a decontamination pad for cleaning of the
equipment before it leaves the zone.
The decontamination water shall be collected and disposed of at the
on-site water treatment unit. Care
shall be exercised by the Contractor to prevent contamination of areas outside
the contaminated zone.
8.46
In treatment area, particularly
for a large-scale ongoing operation, separate equipment shall be employed for
transport of treated materials to prevent any potential for
recontamination. A “contaminated”
loader shall load only the contaminated soils into the decontamination system,
and a “clean” loader shall be assigned to remove the treated soils from the
stockpile at the outlets of the decontamination systems.
8.47
Lining of trucks with plastic is
recommended to prevent spills and leakage during transport. Besides, draping of plastic over the sides
of trucks can minimise the amount of soil accumulates on the outside of the
body. For transport within the
contaminated zone, the cover fabrics/ plastic sheeting can be reused depending
on the truck and cover configuration, otherwise they shall be dumped into
landfill.
8.48
No water discharge is allowed
prior to on-site treatment.
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1.1Demolition and Excavation Phase
Good
Site Practice and Waste Reduction Measures
1.1It is not expected that adverse
waste impacts would arise, provided that good site practice is strictly
followed. Recommendations for good site
practice during the decommissioning and demolition activities include:
·Use waste haulier authorised or
licensed to collect specific category of waste;
·Obtain the necessary
registration and licences under the Waste
Disposal Ordinance and the Waste
Disposal (Chemical Waste) (General) Regulation from the
Environmental Protection Department;
·nomination of an approved
person, such as a site manager, to be responsible for good site practice,
arrangements for collection and effective disposal to an appropriate facility,
of all wastes generated at the site;
·training of site personnel in
proper waste management and chemical waste handling procedures;
·provision of sufficient waste
disposal points and regular collection for disposal;
·appropriate measures to minimise
windblown litter and dust during transportation of waste by either covering
trucks or by transporting wastes in enclosed containers;
·separation of chemical wastes
for special handling and appropriate treatment at a licensed facility;
·regular cleaning and
maintenance programme for drainage systems, sumps and oil interceptors;
·a recording system for the
amount of wastes generated, recycled and disposed of (including the disposal
sites);
·In order to monitor the
disposal of C&D and solid wastes at public filling facilities and
landfills, and control fly-tipping, a trip-ticket system should be included as
one of the contractual requirements and implemented by the Environmental
Team. One may make reference to WBTC
No. 5/99 for details; and
·A Waste Management Plan (WMP)
shall be prepared and this WMP shall be submitted to the Engineer for
approval. One may make reference to
WBTC No. 29/2000 for details.
1.1Good management and control can
prevent the generation of significant amount of waste. Waste reduction is best achieved at the
planning and design stage, as well as by ensuring the implementation of good
site practice. Recommendations to
achieve waste reduction include:
·segregation and storage of different
types of waste in different containers, skips or stockpiles to enhance reuse or
recycling of materials and their proper disposal;
·to encourage collection of
aluminium cans by individual collectors, separate labelled bins shall be
provided to segregate this waste from other general refuse generated by the
work force;
·any unused chemicals or those
with remaining functional capacity shall be recycled;
·use of reusable non-timber
formwork to reduce the amount of C&D material;
·prior to disposal of C&D
waste, it is recommended that wood, steel and other metals shall be separated
for re-use and / or recycling to minimise the quantity of waste to be disposed
of to landfill;
·proper storage and site
practices to minimise the potential for damage or contamination of construction
materials; and
·plan and stock construction
materials carefully to minimise the amount of waste generated and avoid
unnecessary generation of waste.
1.1In addition to the above good
site practice and waste reduction measures, specific mitigation measures are
recommended below for the identified waste arising to minimise environmental
impacts during handling, transportation and disposal of these wastes.
Waste
Recycling
1.1To minimise the amount of disposal
to landfill, the general refuse (not contaminated) should be reuse and recycle
as much as practical. Waste sorting and
segregation should be carried out in accordance with the following categories
for recycling:
·Plastic bag;
·Plastic bottle;
·Plastic packaging;
·Other plastic;
·Rubber;
·Paper;
·Cardboard;
·Wood/ timber;
·Glass;
·Textile;
·aluminium can;
·Steel metal;
·Ferrous metal; and
·Non-ferrous metal.
Asbestos
1.1The handling and disposal of
asbestos wastes should follow the Code of Practice on the Handling,
Transportation and Disposal of Asbestos Waste.
Contaminated
Residues or Deposits
1.1Prior to the disposal of
residues and deposits, sampling should be carried out to characterise the
nature of these wastes. Pending the
receipt of analytical results, the Contractor should shall propose
appropriate handling and disposal protocols for the Engineer’s approval. The temporary storage of these wastes should
be in accordance with the Code of
Practice on the Packaging, Labelling and Storage of Chemical Wastes.
Chemical
Waste
1.1Removal
Sequence:
To avoid disturbance of potential chemical waste during building demolition,
all movable objects including sand/ grit/ deposits inside the building under
demolition shall be cleared in advance.
“Movable objects” shall mean all items inside the building other than
those belong parts of the building structure or are anchored firmly on the
building structure/ existing ground. All movable objects including sand/ grit/
deposits shall be treated as chemical wastes and placed in drums and delivered
to a centralised covered area on site.
No mixing or off-site disposal of the waste shall be allowed. The non-removable objects shall be covered
with the heavy-duty polythene sheets and remained throughout the Project. Transportation and storage of the waste
shall be in accordance with the relevant chemical waste regulations. Particularly the requirement of spill
prevention measures, worker protection (e.g. PPE) and proper segregation from
other wastes shall be observed. Whereas all other chemical wastes outdoors shallwill be left
untouched throughout the Project.
1.1Workers involved in the
handling of chemical waste shallould be suitably trained
and should wear appropriate protective masks and clothing when handling such
materials. Chemical wastes shallould be handled according to the Code of Practice on the
Packaging, Labelling and Storage of Chemical Wastes. Spent chemicals shallould be stored and collected by an approved
operator a licensed
collector for disposal at a licensed facility in accordance
with the Chemical Waste (General) Waste Disposal (Chemical Waste) (General) Regulation.
1.1Containers used for the storage
of chemical waste shallould:
·Be suitable for the substance
they are holding, resistant to corrosion, maintained in good condition, and
securely closed;
·Have a capacity of less than
450 litres unless the specifications have been approved by the EPD; and
·Display a label in English and
Chinese in accordance with instructions prescribed in Schedule 2 of the
Regulations.
1.1The storage area for chemical
waste shallould:
·Be clearly labelled and used
solely for the storage of chemical waste;
·Be enclosed on at least 3
sides;
·Have an impermeable floor and
bunding, of capacity to accommodate 1100% of the
volume of the largest container or 20% by volume of the chemical waste stored
in that area, whichever is the greatest;
·Have adequate ventilation;
·Be covered to prevent rainfall
entering (water collected within the bund must be tested and disposal as
chemical waste if necessary); and
·Be arranged so that
incompatible materials are adequately separated.
1.1Disposal of chemical waste shallould:
·Be via a licensed waste
collector; and
·Be a facility licensed to
receive chemical waste, such as the Chemical Waste Treatment Facility which
offers a chemical waste collection service and can supply the necessary storage
containers; or
·Be a reuser of the waste, under
approval Be a recycler
of the waste, with waste disposal licence from the EPD.
Contaminated
C&D Waste (Building Indoor Surfaces)
1.1Building sampling should be
carried out prior to demolition to characterise the contaminants present on the
building surfaces and identify suitable regents for decontamination. After contaminants characterisation, a
Decommissioning Plan should be prepared by the specialist Contractor
recommending the indoor remediation protocols for the approval of
Engineer. In general, the building
decontamination may include the following processes:
·Power washing;
·Scabbling;
·Grit blasting; and
·Confirmation testing.
1.1However, power washing and grit
blasting will produce secondary wastes, so scabbling is the preferred method of
cleaning. To ensure effective and
proper cleaning, adequate on-site supervision by competent personnel is
required.
1.1After completion of building
decontamination, the material can be discarded as normal C&D waste. The decontamination water, containing the
cleaning reagents, pollutants and residues, should be handled and disposed of
in accordance with the Waste
Disposal (Chemical Waste) (General) Regulation.
Uncontaminated
C&D Waste
1.1The Contractor shallould separate the
C&D waste including steel, timber and scrap metals from other wastes, as
far as practical, and should arrange for recycling and reuse on site to the
extent possible. To maximise landfill
life, Government policy discourages the disposal of C&D wastes with more
than 20% inert material by volume (or 30% inert material by weight) at
landfill. Inert C&D material
(public fill) is directed to reclamation areas or to an approved public filling
area (PFA), where it has the added benefit of offsetting the need for removal
of materials from borrow areas for reclamation purposes. Due to limited space
at landfills, disposal at reclamation sites or a PFA would be the preferred
method.
General
Refuse
1.1General refuse should be stored
in enclosed bins or compaction units separate from C&D and chemical
wastes. No open stockpile of general
refuse is allowed on site to minimise potential water quality impact. A reputable waste collector should be
employed by the contractor to remove general refuse from the site, separately
from C&D and chemical wastes, on a daily or every second day basis to
minimise odour, pest and litter impacts.
1.1Aluminium cans are often
recovered from the waste stream by individual collectors if they are segregated
or easily accessible, so separate labelled bins for their deposit should be
provided if feasible. Site office waste can be reduced through recycling of
paper if volumes are large enough to warrant collection. Participation in a local collection scheme
should be considered if one is available.
Slope Improvement Phase
1.1The excavated soil and rock
should be reused/ recycled as much as practical (i.e. fill slope and
restoration of CLS). Surplus should be
disposal of to public fill. In addition,
a Waste Management Plan shall be prepared by the Contractor in order to keep
waste arising to a minimum and to ensure that waste us handled, transported and
disposed of in a suitable manner.
Remediation Phase
Cheoy
Lee Shipyard Site
1.1On handling contaminated soil, especially
of dioxin-contaminated, site workers and the backhoe operators shall be
protected from skin contact and inhalation of soil gas. The protection shall be achieved by
providing each worker/ operator sufficient personal protective equipment, such
as coverall, respirator, etc. and suitable prior training on handling
contaminated waste.
1.1Chemical wastes shall be
handled in compliance with the provisions of Chemical
Waste Disposal (Chemical Waste) (General) Regulations. The site contractors, workers and operatives
shall also be required to follow appropriate procedures on handling chemical
wastes according to the Code of
Practice on the Packaging, Labelling and Storage of Chemical Wastes.
1.1While the APCO requires registered
professionals to undertake the abatement work, the Waste Disposal Ordinance and the Waste Disposal (Chemical Waste) (General) Regulation provides control on
the packaging, labelling, storage, collection and disposal of asbestos
waste. Asbestos wastes shall be handled
in accordance with the Code of
Practice on the Handling,
Transportation and Disposal of Asbestos Waste issued by
the Environment and Food Bureau.
1.1Asbestos waste, by definition
under the Waste
Disposal (Chemical Waste) (General) Regulation, is
categorised as chemical waste of which the arrangement of production,
collection and disposal will follow the ‘trip-ticket’ system as with other
chemical wastes. The registered
asbestos contractor who is the waste producer shall appoint a licensed asbestos
waste collector to collect the packaged asbestos waste and deliver to the
designated landfill for disposal. Under the Waste Disposal Ordinance and Waste Disposal (Chemical Waste)
(General) Regulation, directions
of asbestos disposal shall be obtained from the EPD and prior arrangement with
the landfill operator shall be made prior to the actual disposal.
Collection
and Transportation of Wastes
1.1Dump trucks will be extensively
used for the transit of waste between the excavation spot and the loading
point/ the decontamination work. The
following precautionary measures shall be taken to avoid pour-out and wind
erosion in transit.
·Never overload the dump truck
to prevent spillage of contaminated
soil;
·Always cover the payload on
each dump truck with strong tarpaulin sheet or the likes to withstand wind and
rain while the truck is travelling; and
·Adequately but not excessively
wet the payload to check the dust generation.
1.1For decontamination work accessible
by sea, contaminated soils shall be carried by self propelled barge of around
50m overall length as opposed to a towed dumb barges to minimise the risk of
incidents in transit.
·Precautionary measures as follows
shall be taken at the barge loading point.
·Unloading of containers should
be monitored to ensure that loss of material does not take place during
transportation.
·The decks of all barges and
vessels will be kept tidy and free of oil or other substances or articles which
might be accidentally or otherwise washed overboard
·The works should cause no
visible foam, oil, grease, scum, litter or other objectionable matter to be
present on the water at the loading and unloading berths
1.1The self-propelled barge would
be able to navigate around North Lantau via the Kap Shui Mun Fairway
and Ma Wan
Channel in most conditions thereby minimising the trip
distance and risks. The self
propelled barges could carry the waste in various arrangements depending on the
type of waste. Contaminated soil earmarked for biopiling and
(solidification) could be shipped in bulk, placed in the hold of a dumb barge
typically up to around 50m overall length with a total capacity of 1,000m3 with
appropriate cover such as HDPE sheeting securely fixed in position over the
material in the hold to protect against wind and rain.
1.1The containers for transporting
dioxin-contaminated soils shall be able to be placed on their ends to allow an
open sealable top for placement of soil.
This is to ensure that no emissions will come from the dioxin-contaminated soil waste during
transport and storage. In addition,
should the containers fall into the sea during accidents, they can be retrieved
without the loss of contaminants to the water column.
1.1When the barges approach the To Kau Wan Site, they should be kept away (minimum distance 100m) from the shore
line on the east side of the site to avoid disturbance to the egrety. They
should also travel at speeds lower than 10 knots within 500m of the egrety to
minimise noise impacts.
1.1Finally, a contingency plan shall be prepared by the Contractor to spell out the
necessary procedures to be taken and in case of accident and/ or emergency when transporting the contaminated
soil to off-site location(s). All
responsible parties and/ or persons and their contact numbers should be listed
in the plan.
When the barges approach the To
Kau Wan Site, thev should be kept away (minimim distance 100m) from the shore line
on the east side of the site to avoid disturbance to the egrety. They should
also travel at speeds lower than 10 knots within 500m of the egrety to minimize
noise impacts.
Material Handling,
Transportation and Storage
1.1The movement of
contaminated material between the shipyard and the treatment area needs to be
carried out in a controlled manner taking reasonable precautions to minimize
potential losses that might otherwise have significant environmental impacts.
The measures recommended need to take into account the degree of contamination
of the material involved and the potential impact of losses. This section
considers the requirements for material handling, transportation and storage in
order to arrive at an appropriate scheme to minimise environmental risks in a
cost effective manner.
9.1
The
ecological assessment in this report has revealed some families of rare
restricted/protected
plantss and fish species (Oryzias spp.curvinotus)
in the Mong Tung Hang Stream will be impacted from the Project and mitigation
measures have been recommended. The
mitigation measure includes transplantation, seed collection and pPlant storage and cCutting
collection/cultivation for the rarestricted/protected
plants and habitat recreation for the fish species in the Mong Tung Hang
Stream. Figures 9.1 and 9.2 give the location of receptor
site for transplanted plants and of recreated habitat for the fish species in
the Mong Tung Hang Stream.
Monitoring and
Maintenance of transplanted plants
9.2
To
maximise success rate of relocation, the plants and their environment need to
be carefully monitored after transplantation. The monitoring team shall include
a suitably qualified botanistplant biologist with at least 3 years
relevant experience, familiar with species in question and with a sound
understanding of transplanting projects and previous vegetation monitoring
experience. Additionally, the team should include a qualified horticulturist
with at least 3 years practical experience, available to provide info on seed
preservation and cultivation.
9.3
The
receptor site shall be visited over a period of 3 years. Monitoring should be
carried out twice weekly for first 24 months after
transplanting, and once a month for the remainder of the programme.
Monitoring
9.4
Monitoring
shall include:
· Checking of the species
composition, percentage coverage and condition of vegetation on each of the
tagged areas of transplanted wetland and N.mirabilis
plants;
· Recording of the condition of the
wetland/plants in terms of the presence of flowers/seeds, leaf colour, signs of
disease/pests, signs of stress (e.g., resulting from lack of water/too much
sunlight); and evidence of self regeneration;
· Determining the abiotic factors
including water quality parameters (water depth, dissolved oxygen, pH,
salinity, temperature) and soil conditions; and
· Recording of any signs of plant
stress together with actions taken.
9.5
During
monitoring, routine maintenance of the receptor site should be implemented. The
most important maintenance tasks shall include:
· Ensuring the wetlands/plants are
receiving sufficient water
· Controlling invasive plant species
such as exotic climbers, which may smother the transplanted species.
9.6 Short
reports containing results of field investigation and measurements should be
prepared after each monthly survey. Submitted by the contractors monitoring
team for review by the IECEATLIEC and EPD within 15 days of the end of the reporting
month. Reports should contain details of:
- Monitoring work undertaken during the reporting
period;
-
Plant survival;
- Signs of plant stress; and
- Any management actions undertaken.
Remedial Measures
9.6
Routine
monitoring and maintenance should ensure the wetland plants become successfully
established at the receptor site. However, if large numbers of plants die back
and do not re-grow, remedial strategies must be implemented. These strategies
should include the germination of stored seeds, and the transplanting of stored
plants and N.mirabilis cuttings from
KFBG.
9.7
Remedial
measures to be implemented at specific action levels are detailed below:
Less than 50% survival
· Instigate germination of a
portion of seed for the species in question, and arrange for the planting of
stored plants/cultivated cuttings
· Review the conditions at the
receptor site to ensure it is still considered suitable for the species prior to
replanting.
Less than 30% survival -
Very low survival levels may
indicate that the receptor site is not suitable for the species in question.
Therefore, other sites where the species of concern are known to occur should
be identified and monitored,
in order to:
· document additional information
on species preferences, flowering time and seed production;
· collect seeds in a controlled
manner to ensure that there is a genetic resource of this species;
· undertake trials to grow seedlings
of these rare species;
· cultivate seedlings and replant
species in alternative receptor sites;
· ensure that plants of these
target species at existing sites are adequately protected.
Monitoring of
the Relocated Fish Species
9.8
Before relocation, the recreated
habitat should be monitored to ensure that the habitat has been colonised by
aquatic invertebrates and other organisms. It is important
that O.curvinotus are moved to the
recreated habitat following the completion of slope/fill works, and the construction
of the channelised section of MTHS. Additionally,
surveys of fauna (e.g., macroinvertebrates) in the recreated habitat should be
conducted before the fish are re-located. The Rice-fish should only be
relocated after the habitat has become established, and has been colonised by
aquatic invertebrates and other organisms.
1.1
After relocation, the O.curvinotus
population should be regularly monitored over a period of 1 year by a suitably
qualified ecologist/biologist with 3 years relevant experience. Monitoring
should be carried out every two weeks for the first three months after
relocation, and monthly for the remainder of the monitoring period.
1.1
9.9
(TO
FOLLOW LATER)
10.1
Site
inspections provide a direct means to track and ensure the enforcement of
specified environmental protection and pollution control measures. The
inspections should be undertaken routinely by the ETEMTET to ensure that
appropriate environmental protection and pollution control mitigation measures
are properly implemented. Additionally, the ETEMTET shall be
responsible for defining the scope of the inspections, detailing any
deficiencies that are identified, and reporting any necessary action or
mitigation measures that were implemented as a result of the inspection.
10.2
Site
inspections shall be carried out at least once per week. The areas of
inspection should include the general environmental conditions in the vicinity
of the site and the pollution control and mitigation measures within the site;
it should also review the environmental conditions outside the site area which
are likely to be affected, directly or indirectly, by site activities. The ETEMTET shall make
reference to the following information in conducting the inspections:
· the EIA and EM&A
recommendations on environmental protection and pollution control mitigation
measures;
· ongoing results of the EM&A
programme;
· works progress and programme;
· individual works method statements
which shall include proposals on associated pollution control measures;
· the contract specifications on
environmental protection;
· the relevant environmental
protection and pollution control laws; and
· previous site inspection results
undertaken.
· A monthly waste management audit
will be carried out as part of the site audit programme.
10.3
The
inspection results and their associated recommendations on improvements to the
environmental protection and pollution control works shall be submitted to the
Contractor, as appropriate, within 24 hours, for reference and for taking
immediate action. They shall also be presented, along with the remedial actions
taken, in the monthly EM&A report. The Contractor shall follow the
procedures and time-frames stipulated in the environmental site inspection for
the implementation of mitigation proposals and the resolution of deficiencies
in the Contractor’ EMS. An action reporting system shall be formulated and
implemented to report on any remedial measures implemented subsequent to the
site inspections.
10.4
Ad
hoc site inspections shall also be carried out by the ETEMTET if significant
environmental problems are identified. Inspections may also be required
subsequent to receipt of an environmental complaint, or as part of the
associated investigation work.
Compliance with Legal and
Contractual Requirements
10.5
There
shall be contractual environmental protection and pollution control
requirements, which the Contractor shall comply with, in addition to Hong Kong’s
environmental protection and pollution control laws.
10.6
The
ETEMTET shall review the
progress and programme of the works to check that relevant environmental laws
have not been violated, and that any foreseeable potential for violating the
laws can be prevented.
10.7
The
Contractor shall also make available for inspection relevant documents to the ETEMTET so that the
checking and auditing process can be carried out. The relevant documents are expected
to include the updated Work Progress Reports, the updated Works Programme, the
application letters for different licences/permits under the environmental
protection laws, and all the valid licences/permit. The site diary shall also
be available, upon request, to the ETEMTET during his site inspection.
10.8
After
reviewing the documentation, the ETEMTET shall advise the Contractor of any
non-compliance with the contractual and legislative requirements on
environmental protection and pollution control for them to take follow-up
actions. If the ETEMTET’s review concludes that the current status
on licence/permit application and any environmental protection and pollution
control preparation works is incompatible with the works programme or may
result in a potential violation of environmental protection and pollution
control requirements by the works in due course, he shall also advise the
Contractor accordingly.
10.9
Upon
receipt of the advice, the Contractor shall undertake immediate action to remedy
the situation. The Engineer shall follow up to ensure that appropriate action
has been taken by the Contractor in order that the environmental protection and
pollution control requirements are fulfilled.
10.10
Complaints
shall be referred to the Permit Holder who shall implement the complaint
investigation procedures; which shall comprise the complaint event and action
plan as
stated in Appendix B.
10.11
During
the complaint investigation work, the Contractor and Engineer shall co-operate
with the ETEMTET and IECEATLIEC in providing
all the necessary information and assistance for completion of the
investigation. If mitigation measures are identified in the investigation, the
Contractor shall promptly carry out the mitigation works. The Engineer shall
ensure that the measures have been carried out by the Contractor.
11.1
Reports
can be provided in an electronic medium upon agreeing the format with the ER
and EPD. This would enable a transition
from a paper / historic and reactive approach to an electronic / real time
proactive approach. All the monitoring
data (baseline and impact) shall also be made available through a dedicated
internet website that would be agreed with relevant authority. i
11.2
Types
of reports that the ETEMTET Leader shall prepare and submit include
baseline monitoring report, monthly EM&A report, quarterly EM&A summary
report and final EM&A review report.
In accordance with Annex 21 of the EIAO-TM, a copy of the monthly,
quarterly summary and final review EM&A reports shall be made available to
the Director of Environmental Protection.
11.3
The
ETEMTET Leader shall
prepare and submit a Baseline Environmental Monitoring Report within 10 working
days of completion of the baseline monitoring.
Copies of the Baseline Environmental Monitoring Report shall be
submitted to the Contractor, the IECEATLIEC, the ER and the EPD. The ETEMTET Leader shall
liaise with the relevant parties on the exact number of copies they
require. The report format and baseline
monitoring data format shall be agreed with the EPD prior to submission.
11.4
The
baseline monitoring report shall include at least the following:
(i) up
to half a page executive summary;
(ii) brief
project background information;
(iii) drawings
showing locations of the baseline monitoring stations;
(iv) monitoring
results (in both hard and diskette copies) together with the following
information:
·
monitoring methodology;
·
name of laboratory and types of equipment used and
calibration details;
·
parameters monitored;
·
monitoring locations;
·
monitoring date, time, frequency and duration; and
·
quality assurance (QA) / quality control (QC)
results and detection limits;
(v) details
of influencing factors, including:
·
major activities, if any, being carried out on the
site during the period;
·
weather conditions during the period; and
·
other factors which might affect results;
(vi) determination
of the Action and Limit Levels for each monitoring parameter and statistical
analysis of the baseline data, the analysis shall conclude if there is any
significant difference between control and impact stations for the parameters
monitored;
(vii) revisions
for inclusion in the EM&A Manual; and
(viii)
comments,
recommendations and conclusions.
11.5
The
results and findings of all EM&A work required in the Manual shall be
recorded in the monthly EM&A reports prepared by the ETEMTET Leader. The EM&A report shall be prepared and
submitted within 10 working days of the end of each reporting month, with the first
report due the month after construction commences. Each monthly EM&A report shall be submitted to the following
parties: the Contractor, the IECEATLIEC, the ER and the EPD. Before submission of the first EM&A
report, the ETEMTET Leader shall liaise with the parties on
the required number of copies and format of the monthly reports in both hard
copy and electronic medium.
11.6
The
ETEMTET leader shall
review the number and location of monitoring stations and parameters every six months,
or on as needed basis, in order to cater for any changes in the surrounding
environment and the nature of works in progress.
First Monthly EM&A
Report
11.7
The
first monthly EM&A report shall include at least the following :
(i) executive
summary (1-2 pages):
·
breaches of Action and Limit levels;
·
complaint log;
·
notifications of any summons and successful
prosecutions;
·
reporting changes; and
·
future key issues.
(ii) basic
project information:
·
project organisation including key personnel contact
names and telephone numbers;
·
programme;
·
management structure, and
·
works undertaken during the month;
(iii) environmental
status:
·
works undertaken during the month with
illustrations (such as location of works, daily excavation rate, etc); and
·
drawings showing the project area, any
environmental sensitive receivers and the locations of the monitoring and
control stations (with co-ordinates of the monitoring locations);
(iv) a
brief summary of EM&A requirements including:
·
all monitoring parameters;
·
environmental quality performance limits (Action
and Limit levels);
·
Event-Action Plans;
·
environmental mitigation measures, as recommended
in the project EIA study final report; and
·
environmental requirements in contract documents;
(v) implementation
status:
·
advice on the implementation status of
environmental protection and pollution control / mitigation measures, as
recommended in the project EIA;
(vi) monitoring
results (in both hard and diskette copies) together with the following
information:
·
monitoring methodology;
·
name of laboratory and types of equipment used and
calibration details;
·
parameters monitored;
·
monitoring locations;
·
monitoring date, time, frequency, and duration;
·
weather conditions during the period;
·
any other factors which might affect the monitoring
results; and
·
QA/QC results and detection limits;
(vii) report
on non-compliance, complaints, and notifications of summons and successful
prosecutions:
·
record of all non-compliance (exceedances) of the
environmental quality performance limits (Action and Limit levels);
·
record of all complaints received (written or
verbal) for each media, including locations and nature of complaints
investigation, liaison and consultation undertaken, actions and follow-up procedures
taken, results and summary;
·
record of all notification of summons and
successful prosecutions for breaches of current environmental protection /
pollution control legislation, including locations and nature of the breaches,
investigation, follow-up actions taken, results and summary;
·
review of the reasons for and the implications of
non-compliance, complaints, summons and prosecutions including review of
pollution sources and working procedures; and
·
description of the actions taken in the event of non-compliance
and deficiency reporting and any follow-up procedures related to earlier
non-compliance;
(viii) others
·
an account of the future key issues as reviewed
from the works programme and work method statements;
·
advice on the solid and liquid waste management
status; and
·
comments (for examples, effectiveness and
efficiency of the mitigation measures), recommendations (for example, any
improvement in the EM&A programme) and conclusions.
Subsequent EM&A
Reports
11.8
Subsequent
monthly EM&A reports shall include the following :
(i) executive
summary (1 - 2 pages):
·
breaches of Action and Limit levels;
·
complaints log;
·
notifications of any summons and successful
prosecutions;
·
reporting changes; and
·
future key issues.
(ii) basic
project information:
·
project organisation including key personnel
contact names and telephone numbers;
·
programme;
·
management structure; and
·
work undertaken during the month;
(iii) environmental
status:
·
works undertaken during the month with illustrations
(such as location of works, daily excavation rate, etc.); and
·
drawing showing the project area, any environmental
sensitive receivers and the locations of the monitoring and control stations.
(iv) implementation
status:
·
advice on the implementation status of
environmental protection and pollution control / mitigation measures, as
recommended in the project EIA;
(v) monitoring
results (in both hard and diskette copies) together with the following
information:
·
monitoring methodology;
·
name of laboratory and types of equipment used and
calibration details;
·
parameters monitored;
·
monitoring locations;
·
monitoring date, time, frequency, and duration;
·
weather conditions during the period;
·
any other factors which might affect the monitoring
results; and
·
QA / QC results and detection limits.
(vi) report
on non-compliance, complaints, and notifications of summons and successful
prosecutions:
·
record of all non-compliance (exceedances) of the
environmental quality performance limits (Action and Limit levels);
·
record of all complaints received (written or
verbal) for each media, including locations and nature of complaints
investigation, liaison and consultation undertaken, actions and follow-up
procedures taken, results and summary;
·
record of all notification of summons and
successful prosecutions for breaches of current environmental protection /
pollution control legislation, including locations and nature of the breaches,
investigation, follow-up actions taken, results and summary;
·
review of the reasons for and the implications of
non-compliance, complaints, summons and prosecutions including review of
pollution sources and working procedures; and
·
description of the actions taken in the event of non-compliance
and deficiency reporting and any follow-up procedures related to earlier
non-compliance.
(vii) others
·
an account of the future key issues as reviewed
from the works programme and work method statements;
·
advice on the solid and liquid waste management
status; and
·
comments (for examples, effectiveness and
efficiency of the mitigation measures), recommendations (for example, any
improvement in the EM&A programme) and conclusions.
(viii) appendix
·
Action and Limit levels;
·
graphical plots of trends of monitored parameters
at key stations over the past four reporting periods for representative
monitoring stations annotated against the following:
a) major activities being
carried out on site during the period;
b) weather conditions during the
period; and
c) any other factors that might
affect the monitoring results.
·
monitoring schedule for the present and next
reporting period;
·
cumulative statistics on complaints, notifications
of summons and successful prosecutions; and
·
outstanding issues and deficiencies.
Quarterly EM&A Summary Reports
11.9
A
quarterly EM&A summary report of around 5 pages shall be produced and submitted within 15 working days of the end
of last reporting month, The quarterly report and shall
contain at least the following information:
(i) executive
summary (1 - 2 pages);
(ii) basic
project information including a synopsis of the project organisation,
programme, contacts of key management, and a synopsis of works undertaken
during the quarter;
(iii) a
brief summary of EM&A requirements including:
·
monitoring parameters;
·
environmental quality performance limits (Action
and Limit levels); and
·
environmental mitigation measures, as recommended
in the project EIA Final Report;
(iv) advice
on the implementation status of environmental protection and pollution control
/ mitigation measures, as recommended in the project EIA Final Report,
summarised in the updated implementation schedule;
(v) drawings
showing the project area, any environmental sensitive receivers and the
locations of the monitoring and control stations;
(vi) graphical
plots of any trends in monitored parameters over the past four months (the last
month of the previous quarter and the present quarter) for representative
monitoring stations annotated against:
·
the major activities being carried out on site
during the period;
·
weather conditions during the period; and
·
any other factors which might affect the monitoring
results;
(vii) advice
on the solid and liquid waste management status;
(viii) a
summary of non-compliance (exceedances) of the environmental quality
performance limits (Action and Limit levels);
(ix) a
brief review of the reasons for and the implications of any non-compliance,
including a review of pollution sources
and working procedures;
(x) a
summary description of actions taken in the event of non-compliance and any
follow-up procedures related to any earlier non-compliance;
(xi) a
summarised record of all complaints received (written or verbal) for each
media, liaison and consultation undertaken, actions and follow-up procedures
taken;
(xii) comments
(for examples, a review of the effectiveness and efficiency of the mitigation
measures and the performance of the environmental management system, that is,
of the overall EM&A programme); recommendations (for example, any
improvement in the EM&A programme) and conclusions for the quarter; and
(xiii) proponents'
contacts and any hotline telephone number for the public to make enquiries.
11.10
The
final EM&A report shall ould be prepared and submitted
within 20 working days of the end of last reporting month, it shall contain
at least the following information:
(i) executive
summary (1 - 2 pages);
(ii) drawings
showing the project area, any environmental sensitive receivers and the
locations of the monitoring and control stations;
(iii) basic
project information including a synopsis of the project organisation, contacts
of key management, and a synopsis of work undertaken during the course of the
project or past twelve months;
(iv) a
brief summary of EM&A requirements including:
·
environmental mitigation measures, as recommended
in the project EIA Report;
·
environmental impact hypotheses tested;
·
environmental quality performance limits (Action
and Limit levels);
·
all monitoring parameters;
·
Event-Action Plans;
(v) a
summary of the implementation status of environmental protection and pollution
control / mitigation measures, as recommended in the project EIA Report, summarised
in the updated implementation schedule;
(vi) graphical
plots and the statistical analysis of the trends of monitored parameters over
the course of the project, including the post-project monitoring for all
monitoring stations annotated against:
·
the major activities being carried out on site
during the period;
·
weather conditions during the period; and
·
any other factors which might affect the monitoring
results;
(vii) a
summary of non-compliance (exceedances) of the environmental quality performance
limits (Action and Limit levels);
(viii) a
review of the reasons for and the implications of non-compliance including
review of pollution sources and working procedures as appropriate;
(ix) a
description of the actions taken in the event of non-compliance;
(x) a
summary record of all complaints received (written or verbal) for each media,
liaison and consultation undertaken, actions and follow-up procedures taken;
(xi) a
summary record of notifications of summons and successful prosecutions for
breaches of the current environmental protection / pollution control
legislation, locations and nature of the breaches, investigation follow-up
actions taken and results;
(xii) a
review of the validity of EIA predictions and identification of shortcomings in
EIA recommendations; and
(xiii) comments
(for examples, a review of the effectiveness and efficiency of the mitigation
measures and of the performance of the environmental management system, that
is, of the overall EM&A programme);
(xiv) recommendations
and conclusions (for example, a review of success of the overall EM&A
programme to cost-effectively identify deterioration and to initiate prompt
effective mitigatory action when necessary).
11.11
No site-based
documents (such as monitoring field records, laboratory analysis records, site
inspection forms, etc.) are required to be included in the monthly EM&A
reports. However, any such document
shall be well kept by the ETEMTET Leader and be ready for inspection upon
request. Particularly, under WDO the Contractor shall keep trip-ticket records and also the relevant
staff training record on site for inspection. All
relevant information shall be clearly and systematically recorded in the
document. Monitoring data shall also be
recorded in magnetic media form, and the software copy must be available upon
request. Data format shall be agreed
with the EPD. All documents and data
shall be kept for at least one year following completion of the construction
contract.
Interim Notifications of Environmental Quality Limit Exceedances
11.12
With
reference to the Event and Action Plan, when the environmental quality
performance limits are exceeded, the ETEMTET Leader shall immediately notify the IECEATLIEC and EPD, as
appropriate. The notification shall be
followed up with advice to IECEATLIEC and EPD on the results of the
investigation, proposed actions and success of the actions taken, with any
necessary follow-up proposals. A sample
template for the interim notifications is presented in Appendix EDC.
Table
of Content
1 INTRODUCTION 1
Background 1
Purpose of the Manual 1
Proposed Works 2
Objectives of the Environmental Monitoring and
Audit 3
2 ENVIRONMENTAL
MANAGEMENT SYSTEM 4
Introduction 4
General 4
The EM&A Manual 4
Contractual Documentation 4
Revision of EM&A Manual 5
Environmental Management Plans 5
Environmental Performance Reviews 6
Construction Method Statement 6
3 ORGANISATION
AND STRUCTURE OF THE EM&A 8
Introduction 8
Project Organisation 8
4 EM&A
GENERAL REQUIREMENT 1011
Introduction 1011
General 1011
Environmental Monitoring 1011
Action and Limit Levels 1011
Event and Action Plans 1112
Site Inspections 1112
Enquiries, Complaints and Requests for Information 1213
Reporting 1213
Cessation of EM&A 1213
5 LAND
CONTAMINATION 1314
Introduction 1314
Groundwater Recharge during Excavation 1314
Removal of Free Product Encountered during
Excavation 1415
Confirmation Sampling /Testing for Soil Excavation 1516
Confirmation Sampling/Testing for Biopile Treatment 1617
Confirmation Sampling/Testing for Solidification
Treatment 1718
Confirmation Sampling/Testing for Thermal
Desorption Treatment 1819
6 AIR QUALITY
MONITORING 2021
Introduction 2021
Methodology and Criteria 2021
Monitoring Equipment 2223
Laboratory Measurement/Analysis 2425
Monitoring Locations 2425
Baseline Monitoring 2627
Impact Monitoring 2627
Compliance Assessment 2829
Event and Action Plan (EAP) 2829
Mitigation Measures 3132
7 WATER QUALITY 3233
Introduction 3233
Monitoring Requirements 3233
Compliance Assessment and Action Plan 3233
Mitigation Measures 3334
8 WASTE
MANAGEMENT 3435
Introduction 3435
Waste Control and Mitigation Measures 3435
Construction and Demolition Phase 3435
Slope Improvement Phase 3839
Remediation Phase 3839
9 ECOLOGY 4445
Monitoring and Maintenance of transplanted plants 4445
Monitoring of the Relocated Fish Species 4546
10 ENVIRONMENTAL
AUDITING 4748
Site Inspections 4748
Compliance with Legal and Contractual Requirements 4849
Environmental Complaint 4849
11 REPORTING 4950
General 4950
Baseline Monitoring Report 4950
Monthly EM&A Reports 5051
Quarterly EM&A Summary Reports 5354
Final EM&A Review Reports 5455
Data Keeping 5657
Interim Notifications of Environmental Quality
Limit Exceedances 5657
455555667799914151515171919212123232627272727282929292933333939404242434344444445484951511 INTRODUCTION
Background
Purpose of the Manual
Proposed Works
Objectives of the Environmental Monitoring and
Audit
2 ENVIRONMENTAL
MANAGEMENT SYSTEM
Introduction
General
The EM&A Manual
Contractual Documentation
Revision of EM&A Manual
Environmental Management Plans
Environmental Performance Reviews
Construction Method Statement
3 ORGANISATION
AND STRUCTURE OF THE EM&A
Introduction
Project Organisation
4 EM&A
GENERAL REQUIREMENT
Introduction
General
Environmental Monitoring
Action and Limit Levels
Event and Action Plans
Site Inspections
Enquiries, Complaints and Requests for Information
Reporting
Cessation of EM&A
5 LAND
CONTAMINATION
6 AIR QUALITY
MONITORING
Introduction
Demolition & Excavation Phase Monitoring
Remediation Phase Monitoring
Baseline Monitoring
Impact Monitoring
Stack Monitoring
Compliance Assessment
Event and Action Plan (EAP)
Mitigation Measures
7 WATER QUALITY
Introduction
Water Quality Mitigation Measures
Water Quality Monitoring
8 WASTE
MANAGEMENT
Introduction
Waste Control and Mitigation Measures
9 ECOLOGY
Monitoring and Maintenance of transplanted plants
Monitoring of the Relocated Fish Species
10 ENVIRONMENTAL
AUDITING 41
Site Inspections 41
Compliance with Legal and Contractual Requirements 42
Environmental Complaint 42
11 REPORTING 43
General 43
Baseline Monitoring Report 43
Monthly EM&A Reports 44
Quarterly EM&A Summary Reports 47
Final EM&A Review Reports 48
Data Keeping 50
Interim Notifications of Environmental Quality
Limit Exceedances 50
1 INTRODUCTION 1
Background 1
Purpose of the Manual 1
Proposed Works 2
Objectives of the Environmental Monitoring and
Audit 3
2 ENVIRONMENTAL
MANAGEMENT SYSTEM 4
Introduction 4
General 4
The EM&A Manual 4
Contractual Documentation 4
Revision of EM&A Manual 5
Environmental Management Plans 5
Environmental Performance Reviews 6
Construction Method Statement 6
3 ORGANISATION
AND STRUCTURE OF THE EM&A 8
Introduction 8
Project Organisation 8
4 EM&A
GENERAL REQUIREMENT 10
Introduction 10
General 10
Environmental Monitoring 10
Action and Limit Levels 10
Event and Action Plans 11
Site Inspections 11
Enquiries, Complaints and Requests for
Information 12
Reporting 12
Cessation of EM&A 12
5 LAND
CONTAMINATION 13
6 AIR
QUALITY MONITORING 14
Introduction 14
Demolition & Excavation Phase Monitoring 14
Remediation Phase Monitoring 18
Baseline Monitoring 20
Impact Monitoring 20202021
Stack Monitoring 21
Compliance Assessment 21
Event and Action Plan (EAP) 22
Mitigation Measures 22
7 WATER
QUALITY 23
Introduction 23
Water Quality Mitigation Measures 23
8 WASTE
MANAGEMENT 27
Introduction 27
Waste Control and Mitigation Measures 27
9 ECOLOGY 39404034
Monitoring
and Maintenance of transplanted plants 39404034
Monitoring of the Relocated Fish Species 40414135
10 ENVIRONMENTAL
AUDITING 41424236
Site Inspections 41424236
Compliance with Legal and Contractual
Requirements 42434337
Environmental Complaint 42434337
11 REPORTING 43444438
General 43444438
Baseline Monitoring Report 43444438
Monthly EM&A Reports 44454539
Quarterly EM&A Summary Reports 47484842
Final EM&A Review Reports 48494943
Data Keeping 49505044
Interim Notifications of Environmental Quality
Limit Exceedances 50515044
1 INTRODUCTION 1-1
Background 1-1
Purpose of the Manual 1-1
Proposed Works 1-2
Objectives of the Environmental Monitoring and
Audit 1-3
2 ENVIRONMENTAL
MANAGEMENT SYSTEM 2-4
Introduction 2-4
General 2-4
The EM&A Manual 2-4
Contractual Documentation 2-4
Revision of EM&A Manual 2-5
Environmental Management Plans 2-5
Environmental Performance Reviews 2-6
Construction Method Statement 2-6
3 ORGANISATION
AND STRUCTURE OF THE EM&A 3-8
Introduction 3-8
Project Organisation 3-8
4 EM&A
GENERAL REQUIREMENT 4-12
Introduction 4-12
General 4-12
Environmental Monitoring 4-12
Action and Limit Levels 4-12
Event and Action Plans 4-13
Site Inspections 4-13
Enquiries, Complaints and Requests for Information 4-13
Reporting 4-14
Cessation of EM&A 4-14
5 Land
Contamination 5-15
6 Air Quality
Monitoring 6-16
Introduction 6-16
Demolition & Excavation Phase Monitoring 6-16
Remediation Phase Monitoring 6-20
Baseline Monitoring 6-22
Impact Monitoring 6-22
Compliance Assessment 6-23
Event and Action Plan (EAP) 6-23
Mitigation Measures 6-24
7 WATER
QUALITY 7-25
Introduction 7-25
Water Quality Mitigation Measures 7-25
8 WASTE
MANAGEMENT 8-26
Introduction 8-26
Waste Control and Mitigation Measures 8-26
9 Ecology 9-31
Monitoring and Maintenance of transplanted plants 9-31
Monitoring of the Relocated Fish Species 9-32
10 ENVIRONMENTAL
AUDITING 10-33
Site Inspections 10-33
Compliance with Legal and Contractual Requirements 10-34
Environmental Complaint 10-34
11 REPORTING 11-35
General 11-35
Baseline Monitoring Report 11-35
Monthly EM&A Reports 11-36
Quarterly EM&A Summary Reports 11-39
Final EM&A Review Reports 11-39
Data Keeping 11-41
Interim Notifications of Environmental Quality
Limit Exceedances 11-41
List of Tables
Table 1.1 Preliminary
Project programme
Table 5.1 Event
and Action Plan for the Groundwater Level Monitoring during Groundwater
Recharge
Table 5.2 Event
and Action Plan for Removal of Encountered Free Product during Excavation
Table 5.3 Event
and Action Plan for Confirmation Sampling/Testing for Soil Excavation
Table 5.4 Event
and Action Plan for Confirmation Sampling/Testing for Biopile Treatment
Table 5.5 Event
and Action Plan for Confirmation Sampling/Testing for Solidification Treatment
Table 5.6 Event
and Action Plan for Confirmation Sampling/Testing for Thermal Desorption
Treatment
Table 5.7 Concerned
Action Levels and Cleanup Targets for Soil Remediation
Table 6.1 Ambient
Air Quality Monitoring Stations and their Commencement Time
Table 6.2 Impact
ambient air monitoring programme
Table 6.3 Plant
Emission Monitoring Requirements
Table 6.4 Proposed
Action and Limit Levels for Ambient Monitoring
Table 6.5 Proposed
Action and Limit Levels for Plant Emissions Monitoring
Table 6.9 Event
/ Action Plan for Ambient Air Quality Monitoring
Table 6.10 Event
/ Action Plan for Plant Emissions Monitoring
Table 7.1 Event
and Action Plan for the Effluent Discharge Monitoring
List of Figures
Figure 1.1 Site
Location Map
Figure 1.2 Locations
of Air Quality Sensitive Receivers
Figure 1.3 Locations
of Water Quality Sensitive receivers
Figure 1.4 Habitat
Map – Cheoy Lee Shipyard
Figure 1.5 Habitat
Map – To Kau Wan
Figure
5.1 Schematic of Groundwater Level
Monitoring During Recharging
Figure 6.1 Typical
Dioxins High Volume Air Sampler
Figure 6.2 Sampling
Train for Stack Dioxin Sampling
Figure 6.32 Ambient Air
Monitoring Station During Demolition and Excavation Phase Monitoring
Figure 6.3 Sampling
Train for Stack Dioxin Sampling
Figure
6.4 Ambient Air Monitoring Station During Remediation Phase Monitoring
List of Appendices
Appendix
A Implementation Schedule of Mitigation
Measures
Appendix B Event/
Action Plan for Air Quality
Appendix CB Sample Data
Sheets for Air Quality Monitoring
Appendix
DC Sample Template for the Interim Notification
[1] Compendium of
Methods for the Determination of Toxic Organic Compounds in Ambient Air.:
Method TO-9A, Second Edition, U. S. Environmental Protection Agency,
EPA/625/R-96/010b, January 1999.
[2] Determination of
Polychlorinated Dibenzo-p-dioxins and Polychlorinated Dibenzofurans from
Municipal Waste Combustors, USEPA Method 23.
[1] Determination of
Polychlorinated Dibenzo-p-dioxins and Polychlorinated Dibenzofurans from
Municipal Waste Combustors, USEPA Method 23.